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ASC 250 Accounting Changes and Error Corrections

  1. Perspective and Issues
    1. Subtopics
    2. Scope
    3. Overview
  2. Definitions of Terms
  3. Concepts, Rules, and Examples
    1. Accounting Changes
    2. Summary of Accounting Changes and Error Corrections
    3. Change in Accounting Principle
      1. Preferability
      2. Retrospective Application
      3. Example of Retrospective Application of a New Accounting Principle
      4. Example of Change from FIFO to LIFO
      5. Example Note A: Change in Method of Accounting for Inventories
    4. Disclosure of Prospective Changes in GAAP
      1. Disclosing the Impact of Newly Established GAAP that has not Yet Become Effective
      2. Proposed GAAP
    5. Reclassifications
      1. Example 1
      2. Example 2
    6. Change in Accounting Estimate
      1. Example of a Change in Accounting Estimate
      2. Example Note A: Change in Accounting Estimate
      3. Example of a Change in Accounting Estimate
    7. Change in Accounting Estimate Effected by a Change in Accounting Principle
    8. Change in Reporting Entity
    9. Error Corrections
      1. Example of a Prior Period Adjustment
    10. Evaluating Uncorrected Misstatements
      1. Types of Misstatements
      2. Misstatements from Prior Years
      3. Guidance for SEC Registrants
      4. Example
    11. Interim Reporting Considerations
      1. Public Companies
      2. Going Concern Considerations
    12. Other Sources

Perspective and Issues

Subtopics

ASC 250, Accounting Changes and Error Corrections, contains one subtopic:

ASC 250-10, Overall, which:

  • Provides guidance on accounting for and reporting on accounting changes and error corrections
  • Requires, unless impractical, retrospective application of a change in accounting principle
  • Provides guidance on when retrospective application is impractical and how to report on the impracticability.

ASC 250-10 also:

  • Specifies the method of treating error correction in comparative statements
  • Specifies the disclosures required upon restatement of previously issued statements of income
  • Recommends methods of presentation of historical, statistical-type financial summaries affected by error corrections.

(ASC 250-10-5-5)

Scope

ASC 250 applies to all entities' financial statements and summaries of information that reflect an accounting period affected by accounting change or error.

Overview

Under U.S. GAAP, management is granted the flexibility of choosing between or among certain alternative methods of accounting for the same economic transactions. Examples of the availability of such choices are provided throughout this publication, in such diverse areas as alternative cost-flow assumptions used to account for inventory and cost of sales, different methods of depreciating long-lived assets, and varying methods of identifying operating segments. The professional literature (in the areas of accounting principles, auditing standards, quality control standards, and professional ethics) is emphatic that, in choosing among the various alternatives, management is to select principles and apply them in a manner that results in financial statements that faithfully represent economic substance over form and that are fully transparent to the user.

Changes in accounting can be necessitated over time due to changes in the assumptions and estimates underlying the application of accounting principles and methods of applying them, changes in the principles defined as acceptable by a standards-setting authority, or other types of changes.

Changes in the accounting for given transactions can have a profound influence on investing and operational decisions. Financial statement analysts and management decision makers both generally presume the consistency and comparability of financial statements across periods and among entities within industry groupings. Any type of accounting change potentially can create inconsistency. The challenge is to present the effects of the change in a manner that is most readily comprehended by users of financial statements, who may impose various adjustments of their own in their efforts to make the information comparable for analysis purposes.

When contemplating a potential change in accounting principle, a primary focus of management should be to consider its effect on financial statement comparability. This should not, however, dissuade preparers from adopting preferable accounting standards, where otherwise warranted.

ASC 250 contains the underlying presumption that in preparing financial statements an accounting principle, once adopted, should not be changed in accounting for events and transactions of a similar type. This consistent use of accounting principles is intended to enhance the utility of financial statements. The presumption that a reporting entity should not change an accounting principle may be overcome only if management justifies the use of an alternative acceptable accounting principle on the basis that it is actually preferable.

ASC 250 does not provide a definition of preferability or criteria by which to make such assessments, so this remains a matter of professional judgment. What is preferable for one industry or company is not necessarily considered preferable for another.

Definitions of Terms

Source: ASC 250-10-20

Accounting Change. A change in an accounting principle, an accounting estimate, or the reporting entity. The correction of an error in previously issued financial statements is not an accounting change.

Change in Accounting Estimate. A change that has the effect of adjusting the carrying amount of an existing asset or liability or altering the subsequent accounting for existing or future assets or liabilities. A change in accounting estimate is a necessary consequence of the assessment, in conjunction with the periodic presentation of financial statements, of the present status and expected future benefits and obligations associated with assets and liabilities. Changes in accounting estimates result from new information. Examples of items for which estimates are necessary are uncollectible receivables, inventory obsolescence, service lives and salvage values of depreciable assets, and warranty obligations.

Change in Accounting Estimate Effected by a Change in Accounting Principle. A change in accounting estimate that is inseparable from the effect of a related change in accounting principle. An example of a change in estimate effected by a change in principle is a change in the method of depreciation, amortization, or depletion for long-lived, nonfinancial assets.

Change in Accounting Principle. A change from one generally accepted accounting principle to another generally accepted accounting principle when there are two or more generally accepted accounting principles that apply or when the accounting principle formerly used is no longer generally accepted. A change in the method of applying an accounting principle also is considered a change in accounting principle.

Change in the Reporting Entity. A change that results in financial statements that, in effect, are those of a different reporting entity. A change in the reporting entity is limited mainly to the following:

  1. Presenting consolidated or combined financial statements in place of financial statements of individual entities
  2. Changing specific subsidiaries that make up the group of entities for which consolidated financial statements are presented
  3. Changing the entities included in combined financial statements.

Neither a business combination accounted for by the acquisition method nor the consolidation of a variable interest entity (VIE) pursuant to Topic 810 is a change in reporting entity.

Direct Effects of a Change in Accounting Principle. Those recognized changes in assets or liabilities necessary to effect a change in accounting principle. An example of a direct effect is an adjustment to an inventory balance to effect a change in inventory valuation method. Related changes, such as an effect on deferred income tax assets or liabilities or an impairment adjustment resulting from applying the lower-of-cost-or-market test to the adjusted inventory balance, also are examples of direct effects of a change in accounting principle.

Error in Previously Issued Financial Statements. An error in recognition, measurement, presentation, or disclosure in financial statements resulting from mathematical mistakes, mistakes in the application of generally accepted accounting principles (GAAP), or oversight or misuse of facts that existed at the time the financial statements were prepared. A change from an accounting principle that is not generally accepted to one that is generally accepted is a correction of an error.

Indirect Effects of a Change in Accounting Principle. Any changes to current or future cash flows of an entity that result from making a change in accounting principle that is applied retrospectively. An example of an indirect effect is a change in a nondiscretionary profit sharing or royalty payment that is based on a reported amount such as revenue or net income.

Restatement. The process of revising previously issued financial statements to reflect the correction of an error in those financial statements.

Retrospective Application. The application of a different accounting principle to one or more previously issued financial statements, or to the statement of financial position at the beginning of the current period, as if that principle had always been used, or a change to financial statements of prior accounting periods to present the financial statements of a new reporting entity as if it had existed in those prior years.

Concepts, Rules, and Examples

Accounting Changes

There are legitimate reasons why a reporting entity would change its accounting:

  1. Changing to an existing alternative accounting principle that management deems to be preferable to the one it is currently following
  2. Adopting a newly issued accounting principle
  3. Refining an estimate made in the past as a result of further experience and better information
  4. Correcting an error made in previously issued financial statements. Although technically not an “accounting change” as defined in GAAP literature, this involves restating previously issued financial statements and is also governed by ASC 250.

To facilitate accurate analysis, it is important for management of the reporting entity to adequately inform the financial statement users when one or more of these changes are made, and to provide sufficient information to enable the reader to distinguish the effects of the change from other factors affecting results of operations.

Each of the types of accounting changes and the proper treatment prescribed for them is summarized in the following chart and discussed in detail in the following sections.

Summary of Accounting Changes and Error Corrections

Treatment in financial statements, historical summaries, financial highlights, and other similar presentations of businesses and not-for-profit organizations
Type and description of change or correction Retrospective application to all periods presented1 Affects period of change and, if applicable, future periods Restatement of all prior period financial statements presented
Accounting Changes
Change in accounting principle
New principle required to be preferable
Change in accounting estimate
Change in accounting estimate effected by a change in accounting principle
New principle required to be preferable
Change in reporting entity2
Restatements3
Correction of errors in previously issued financial statements

Change in Accounting Principle

Management is permitted to change from one generally accepted accounting principle to another only when:

  1. It voluntarily decides to do so and can justify the use of the alternative accounting principle as being preferable to the principle currently being followed, or
  2. It is required to make the change as a result of a newly issued accounting pronouncement. (ASC 250-10-45-2)

Per ASC 250-45-1, the following are not considered a change in accounting principle:

  • Initial adoption of an accounting principle
  • Adoption or modification of an accounting principle for transactions or events substantially different from previous transactions.(ASC 250-45-1)

If a change in accounting principle is being made voluntarily, the financial statements of the period of change must include disclosure of the nature of and reason for the change and an explanation of why management believes the newly adopted accounting principle is preferable. This preferability assessment is required to be made from the perspective of financial reporting, and not solely from an income tax perspective. Thus, favorable income tax consequences alone do not justify making a change in financial reporting practices.

According to ASC 250, the term accounting principle includes not only the accounting principles and practices used by the reporting entity, but also its methods of applying them. A change in the components used to cost a firm's inventory is considered a change in accounting principle and, therefore, is only permitted when the new inventory costing method is preferable to the former method.

Preferability

As stated, management is only permitted to voluntarily change the reporting entity's accounting principles when the newly employed principle is preferable to the principle it is replacing. The independent auditors are then charged with concurring with management's assessment. If the auditors do not believe management has provided reasonable justification for the change, AU-C §708.07 requires the auditors to express either a qualified or adverse opinion, depending on the materiality of the effects of the unacceptable accounting principle on the financial statements.

When management of a public company voluntarily changes the registrant's accounting principles, a letter from the registrant's independent public accountants is required to be filed with the Securities and Exchange Commission (SEC). This “preferability letter” is to be included as an exhibit in 10-Q and 10-K filings (Regulation S-K Item 601, Exhibit 18) and must indicate whether the change in principle or practice (or method of applying that principle or practice) is to an acceptable alternative that, in the auditors' judgment, is preferable under the circumstances. (ASC 250-10-S99-4)

Retrospective Application

ASC 250-10-45-5 provides that changes in accounting principle be reflected in financial statements by retrospective application to all prior periods presented unless it is impracticable to do so. ASC 250-45-3 points out that Accounting Standards Updates include specific provisions regarding transitioning to the new principles that are to be followed by adopting entities. The default method is retrospective restatement, whereas previously the default procedure was to recognize a cumulative effect adjustment in current results of operations. If FASB believes this to be the most beneficial method of transition, updates may still provide for adoption using cumulative effect adjustments.

Retrospective application is accomplished by the following steps:

At the beginning of the first period presented in the financial statements,

  1. Step 1 Adjust the carrying amounts of assets and liabilities for the cumulative effect of changing to the new accounting principle on periods prior to those presented in the financial statements.
  2. Step 2 Offset the effect of the adjustment in Step 1 (if any) by adjusting the opening balance of retained earnings (or other components of equity or net assets, as applicable to the reporting entity).

    For each individual prior period that is presented in the financial statements,

  3. Step 3 Adjust the financial statements for the effects of applying the new accounting principle to that specific period.

(ASC 250-10-45-5)

  1. Step 1 Adjust the carrying amounts of assets and liabilities at the beginning of the first period presented in the financial statements (January 1, 20Y2, in this example). For the cumulative effect of changing to the new accounting principle on periods prior to those presented in the financial statements.

    In this example, the preparer refers to the previously issued 2011 financial statements presented above. Assume the following data regarding advertising costs at December 31, 20Y1/January 1, 20Y2:

    Costs incurred during 20Y1 for advertising that will not take place for the first time until 20Y2 $25,000
    Deferred income tax liability that would have been recognized at December 31, 20Y1, computed at 40% of the temporary difference (10,000)
    Net adjustment to beginning assets and liabilities $15,000
  2. Step 2 Offset the effect of the adjustment in Step 1 by adjusting the opening balance of retained earnings (or other components of equity or net assets, as applicable to the reporting entity).

    The $15,000 net effect of the adjustment in Step 1 is presented in the statement of income and retained earnings as an adjustment to the January 1, 20Y2 retained earnings as previously reported at December 31, 20Y1.

  3. Step 3 Adjust the financial statements of each individual prior period presented for the effects of applying the new accounting principle to that specific period.

    In this case, the following adjustments are necessary to adjust the 20Y2 financial statements for the period-specific effects of the change in accounting principle:

    Cost incurred in Year the advertising was first run
    20Y1 20Y2 $ 25,000
    20Y2 20Y3 (45,000)
    Pretax, period-specific adjustment to advertising costs at 12/31/Y1 (20,000)
    × 40% income tax effect 8,000
    Effect on 20Y2 net income $(12,000)

Adjustments to the 20Y2 financial statements for the period-specific effects of retrospective application of the new accounting principle are:

Adjustments to 20Y2 financial statements
Deferred advertising costs Deferred income tax liability Advertising expense Income tax expense
Balance at 12/31/Y2 prior to adjustment $ – $ – $65,000 $404,000
Adjustment to opening balances from retrospective application to 20Y2 25,000 10,000
Advertising costs incurred in 2010, first run in 20Y2 (25,000) 25,000
Advertising costs incurred in 2011, first run in 20Y3 45,000 (45,000)
(20,000)
Income tax effect of net adjustment to 20Y2 advertising expense (40%) 8,000 8,000
Adjusted amounts for 20Y2 financial statements $45,000 $18,000 $45,000 $412,000

The adjusted comparative financial statements, reflecting the retrospective application of the new accounting principle, follow.

Newburger Company
Statements of Income and Retained Earnings
Reflecting Retrospective Application of Change in Accounting Principle
Years Ended December 31, 20Y3 and 20Y2
20Y3 20Y2 as adjusted
Sales $ 2,700,000 $ 2,300,000
Cost of sales 995,000 850,000
Gross profit 1,705,000 1,450,000
Advertising expense 66,000 45,000
Other selling, general, and administrative expenses 423,000 385,000
489,000 430,000
Income from operations 1,216,000 1,020,000
Other income (expense) 9,000 11,000
Income before income taxes 1,225,000 1,031,000
Income taxes 490,400 412,000
Net income 734,600 619,000
Retained earnings, beginning of year, as originally reported 13,756,000
Adjustment for retrospective application of new accounting principle (Note X) 15,000
Retained earnings, beginning of year, as adjusted 12,990,000 13,771,000
Dividends 1,600,000 1,400,000
Retained earnings, end of year $12,124,600 $12,990,000
Newburger Company
Statements of Financial Position
Reflecting Retrospective Application of Change in Accounting Principle
Years Ended December 31, 20Y3 and 20Y2
20Y2
Assets 20Y3 as adjusted
Current assets
Cash and cash equivalents $ 2,382,000 $ 2,200,000
Deferred advertising costs 16,000 45,000
Prepaid expenses 123,000 125,000
Other current assets 21,000 22,000
Total current assets 2,542,000 2,392,000
Property and equipment 9,800,000 10,729,000
Total assets $12,342,000 $13,121,000
Liabilities and stockholders' equity
Deferred income taxes $ 6,000 $ 18,000
Other current liabilities 36,000 35,000
Total current liabilities 42,400 53,000
Noncurrent liabilities 162,000 65,000
Total liabilities 204,400 118,000
Stockholders' equity
Common stock 13,000 13,000
Retained earnings 12,124,600 12,990,000
Total stockholders' equity 12,137,600 13,003,000
Total liabilities and stockholders' equity $12,342,000 $13,121,000
Newburger Company
Statements of Cash Flows
Reflecting Retrospective Application of Change in Accounting Principle
Years Ended December 31, 20Y3 and 20Y2
20Y2
Operating activities 20Y3 as adjusted
Net income $ 734,600 $ 619,000
Depreciation 725,000 715,000
Deferred income taxes (11,600) 8,000
Gain on sale of property and equipment (1,200,000)
Changes in
Deferred advertising costs 29,000 (20,000)
Prepaid expenses 2,000 (5,000)
Other current assets 1,000 (2,000)
Other current liabilities 1,000 23,000
Net cash provided by operating activities $ 281,000 $1,338,000
Investing activities
Property and equipment
Acquisition (1,096,000) (133,000)
Proceeds from sale 2,500,000
Net cash provided by (used for) investing activities 1,404,000 (133,000)
20Y3 20Y2 as adjusted
Financing activities
Dividends paid to stockholders (1,600,000) (1,400,000)
Long-term debt
Borrowed 105,000
Repaid (8,000) (5,000)
Net cash used for financing activities (1,503,000) (1,405,000)
Increase (decrease) in cash and cash equivalents 182,000 (200,000)
Cash and cash equivalents, beginning of year 2,200,000 2,400,000
Cash and cash equivalents, end of year $2,382,000 $2,200,000

It is important to note that, in presenting the previously issued financial statements for 20Y2, the caption “as adjusted” is included in the column heading. Prior to ASC 250, many preparers used the caption “as restated.” ASC 250 explicitly defines a restatement as a revision to previously issued financial statements to correct an error. Therefore, to avoid misleading the financial statement reader, use of the terms restatement or restated are to be limited to prior period adjustments to correct errors, as discussed later in this chapter.

Indirect effects. The example above only reflects the direct effects of the change in accounting principle, net of the effect of income taxes. Changing accounting principles sometimes results in indirect effects from legal or contractual obligations of the reporting entity, such as profit sharing or royalty arrangements that contain monetary formulas based on amounts in the financial statements. In the preceding example, if Newburger Company had an incentive compensation plan that required it to contribute 15% of its pretax income to a pool to be distributed to its employees, the adoption of the new accounting policy would potentially require Newburger to provide additional contributions to the pool computed as:

Pretax effect of retroactive application Contractual rate Indirect effect
Prior to 20Y2 $25,000 15% $3,750
20Y2 (20,000) 15% (3,000)
$ 750

Contracts and agreements are often silent regarding how such a change might affect amounts that were computed (and distributed) in prior years. Management of Newburger Company might have discretion over whether to make the additional contributions. Further, it would probably consider it undesirable to reduce the 20Y2 incentive compensation pool because of an accounting change of this nature, and it might thus decide for valid business reasons not to reduce the pool under these circumstances.

ASC 250 specifies that irrespective of whether the indirect effects arise from an explicit requirement in the agreement or are discretionary, if incurred they are to be recognized in the period in which the reporting entity makes the accounting change, which is 2013 in the example above.

Impracticability exception

All prior periods presented in the financial statements are required to be adjusted for the retroactive application of the newly adopted accounting principle, unless it is impracticable to do so. (ASC 250-10-45-9) FASB recognizes that there are certain circumstances when there is a change in accounting principle when it will not be feasible to compute (1) the retroactive adjustment to the prior periods affected or (2) the period-specific adjustments relative to periods presented in the financial statements.

For management to assert that it is impracticable to retrospectively apply the new accounting principle, one or more of the following conditions must be present:

  1. Management has made a reasonable effort to determine the retrospective adjustment and is unable to do so.
  2. If it were to apply the new accounting principle retrospectively, management would be required to make assumptions regarding its intent in a prior period that would not be able to be independently substantiated.
  3. If it were to apply the new accounting principle retrospectively, management would be required to make significant estimates of amounts for which it is impossible to develop objective information that would have been available at the time the original financial statements for the prior period (or periods) were issued to provide evidence of circumstances that existed at that time regarding the amounts to be measured, recognized, and/or disclosed by retrospective application.

Inability to determine period-specific effects. If management is able to determine the adjustment to beginning retained earnings for the cumulative effect of applying the new accounting principle to periods prior to those presented in the financial statements, but is unable to determine the period-specific effects of the change on all of the prior periods presented in the financial statements, ASC 250-10-45-6 requires the following steps to adopt the new accounting principle:

  1. Adjust the carrying amounts of the assets and liabilities for the cumulative effect of applying the new accounting principle at the beginning of the earliest period presented for which it is practicable to make the computation.
  2. Any offsetting adjustment required by applying Step 1 is made to beginning retained earnings (or other applicable components of equity or net assets) of that period.

Inability to determine effects on any prior periods. If it is impracticable to determine the cumulative effect of adoption of the new accounting principle on any prior periods, ASC 250-10-45-7 requires that the new principle be applied prospectively as of the earliest date that it is practicable to do so. The most common example of this occurs when management of a reporting entity decides to change its inventory costing assumption from first-in, first-out (FIFO) to last-in, first-out (LIFO), as illustrated in the following example:

The following is an example of the required disclosure in this circumstance:

Disclosure of Prospective Changes in GAAP

Disclosing the Impact of Newly Established GAAP that has not Yet Become Effective

The accounting principles used in the reporting entity's financial statements may comply with GAAP as of the reporting date, but those principles may become unacceptable at a specified future date due to the issuance of a new accounting standard that is not yet effective. If the new GAAP, when adopted, is expected to materially affect the future financial statements, it is necessary to inform the users of the current financial statements about the future change. The objective of such a disclosure is to ensure that the financial statements are not misleading and that the users are provided with adequate information to assess the significance of adopting the new GAAP on the reporting entity's future financial statements.

In some cases, the effect of the future change will be so pervasive as to necessitate the presentation of pro forma financial data to supplement the historical financial statements. The pro forma data would present the effects of the future adoption as if it had occurred at the date of the statement of financial position. The pro forma data may be presented in a column next to the historical data, in the notes to the financial statements, or separately accompanying the basic historical financial statements. Disclosure may also be needed of other future effects that may be triggered by the adoption of the new GAAP, such as adverse effects on the reporting entity's compliance with its debt covenants.

The best source of guidance in determining the form and content of these disclosures is ASC 250-10-S99. While this guidance is applicable to public companies, it also can be interpreted to apply to nonpublic companies as “practices that are widely recognized and prevalent.” Under this requirement management is to disclose:

  1. A brief description of the new standard.
  2. The date the reporting entity is required to adopt the new standard.
  3. If the new standard permits early adoption and the reporting entity plans to do so, the date that the planned adoption will occur.
  4. The method of adoption that management expects to use. If this determination has not yet been made, then a description of the alternative methods of adoption that are permitted by the new standard.
  5. The impact that the new standard will have on reported financial position and results of operations. If management has quantified the impact, then it is to disclose the estimated amount. If management has not yet determined the impact or if the impact is not expected to be material, this is to be disclosed.

The SEC staff also encourages the following additional disclosures:

  1. The potential impact of adoption on such matters as loan covenant compliance, planned or intended changes in business practices, changes in availability of or cost of capital, and the like.
  2. Newly issued standards that are not expected to materially affect the reporting entity should nevertheless be disclosed with an accompanying statement that adoption is not expected to have a material effect on the reporting entity.
  3. When the newly issued standard only affects disclosure and the future disclosures are expected to be significantly different from the current disclosures, it is desirable to provide the reader with details.

Proposed GAAP

There is no requirement under GAAP or under SEC rules to disclose the potential effects of standards that have been proposed but not yet issued. If management wishes to voluntarily disclose information that it believes will provide the financial statement users with useful, meaningful information, the SEC provides guidance (§501.11 of the Codification of Financial Reporting Policies) on how to present this information, either in narrative form or as pro forma information, in a manner that “is reasonable, balanced and not misleading.” In its guidance, the SEC notes that it may be reasonable to cover only those proposals where, based on the standard setter's published agenda, adoption appears imminent. When management chooses to make these disclosures, the disclosures should:

  1. Provide a brief description of the proposed standard.
  2. Explain the purpose of the disclosures, the basis of presentation, and any significant assumptions made in preparing them.
  3. Discuss, in a balanced manner:
    1. The positive and negative effects of applying the proposed standard,
    2. The effects the proposed standard would have had on prior results of operations,
    3. The potential effects of the proposed standard on future periods,
    4. The effects that can be quantified, and
    5. The effects, if any, that cannot be quantified.
  4. Address the entire proposed standard, not just certain aspects of it.
  5. Limit any disclosures that quantify the effects of the proposed standard to covering only the most recent fiscal year.
  6. Warn the readers that the final standard, when and if issued, could differ from the proposal that was used as a basis for these disclosures and that, as a result, the actual application of any final standard could result in effects different than those disclosed.
  7. If necessary for a fair and balanced presentation, provide information regarding more than one proposed standard. There is a risk to the reporting entity that the disclosure may appear to be incomplete or misleading if it discusses the effects of one significant proposed standard but not another.

Reclassifications

Occasionally, a company will choose to change the way it applies an accounting principle, resulting in a change in the way that a particular financial statement caption is displayed or in the individual general ledger accounts that comprise a caption. These reclassifications may occur for a variety of reasons, including:

  1. In management's judgment, the revised methodology more accurately reflects the economics of a type or class of transaction.
  2. An amount that was immaterial in previous periods and combined with another number has become material and warrants presentation as a separately captioned line item.
  3. Due to changes in the business or the manner in which the financial statements are used to make decisions, management deems a different form of presentation to be more useful or informative.

To maintain comparability of financial statements when such changes are made, the financial statements of all periods presented must be reclassified to conform to the new presentation.

Such reclassifications, which usually affect only the statement of income, do not affect reported net income or retained earnings for any period since they result in simply recasting amounts that were previously reported. Normally a reclassification will result in an increase in one or more reported numbers with a corresponding decrease in one or more other numbers. In addition, these changes reflect changes in the application of accounting principles either for which there are multiple alternative treatments, or for which GAAP is silent and thus management has discretion in presentation.

Reclassifications are not explicitly dealt with in GAAP but nevertheless do commonly occur in practice. The following examples are adapted from actual notes that appeared in the summary of significant accounting policies of publicly held companies:

Change in Accounting Estimate

The preparation of financial statements requires frequent use of estimates for such items as asset service lives, salvage values, lease residuals, asset impairments, collectability of accounts receivable, warranty costs, pension costs, and the like. Future conditions and events that affect these estimates cannot be estimated with certainty. Therefore, changes in estimates will be inevitable as new information and more experience is obtained. ASC 250-10-45-17 requires that changes in estimates be recognized currently and prospectively. The effect of the change in accounting estimate is accounted for in “(a) the period of change if the change affects that period only or (b) the period of change and future periods if the change affects both.” The reporting entity is precluded from retrospective application, restatement of prior periods, or presentation of pro forma amounts as a result of a change in accounting estimate.

Accounting for long-term construction contracts under the percentage-of-completion method necessarily involves ongoing revisions to estimates of total contract revenue, total contract cost, and extent of progress toward project completion. These revisions represent changes in accounting estimate and, in accordance with ASC 605-35, the change in estimate is accounted for using the cumulative catch-up method. This is applied by:

  1. Computing the percentage of completion, earned revenues, cost of earned revenues, and gross profit on a contract-to-date basis at the date of the statement of financial position using the reporting entity's consistently applied accounting policy for the contract and reflecting the revised estimates.
  2. Reflecting in the current period's earned revenue and cost of earned revenue the difference between the newly computed contract-to-date results computed in item 1 and those amounts recognized in previous periods.

This approach results in the effect of the change in accounting estimate being reflected in the current period statement of income, and prospectively accounting for the contract using the revised assumptions.

Note that an impairment of a long-lived asset, as described by ASC 360-10-35, is not a change in accounting estimate. Rather, it is an event that is to be treated as an operating expense of the period in which it is recognized, in effect as additional depreciation. (See further discussion in chapter in this volume on ASC 360.)

Change in Accounting Estimate Effected by a Change in Accounting Principle

To change certain accounting estimates, management must adopt a new accounting principle or change the method it uses to apply an accounting principle. In contemplating such a change, management would not be able to separately determine the effects of changing the accounting principle from the effects of changing its estimate. The change in estimate is accomplished by changing the method.

Under ASC 250-10-45-18, a change in accounting estimate that is effected by a change in accounting principle is accounted for in the same manner as a change in accounting estimate, that is, prospectively in the current and future periods affected. However, because management is changing the company's accounting principle or method of applying it, the new accounting principle, as previously discussed, must be preferable to the accounting principle being superseded.

Management may decide, for example, to change its depreciation method for certain types of assets from straight-line to an accelerated method, such as double-declining balance to recognize the fact that those assets are more productive in their earlier years of service because they require less downtime and do not require repairs as frequently. Such a change is permitted by ASC 250-10-45-19 only if management justifies it based on the fact that using the new method is preferable to the old one, in this case because it more accurately matches the costs of production to periods in which the units are produced.

A distinction is made in ASC 250-10-45-20, however, for entities that elect to apply a depreciation method that results in accelerated depreciation until the point during the useful life of the depreciable asset when it is useful to change to straight-line depreciation in order to fully depreciate the asset over the remaining term. At this point, the remaining carrying value (net book value) is depreciated using the straight-line method over its remaining useful life. ASC 250 provides that, if this method is consistently followed by the reporting entity, the changeover to straight-line depreciation is not considered to be an accounting change.

Change in Reporting Entity

An accounting change resulting in financial statements that are, in effect, of a different reporting entity than previously reported on, is retrospectively applied to the financial statements of all prior periods presented in order to show financial information for the new reporting entity for all periods (ASC 250-10-45-21). The change is also retrospectively applied to previously issued interim financial information.

The following qualify as changes in reporting entity:

  1. Consolidated or combined financial statements in place of individual entities' statements
  2. A change in the members of the group of subsidiaries that comprise the consolidated financial statements
  3. A change in the companies included in combined financial statements.

Specifically excluded from qualifying as a change in reporting entity are:

  1. A business combination accounted for by the purchase method, and
  2. Consolidation of a variable interest entity under ASC 810.

Error Corrections

Errors are sometimes discovered after financial statements have been issued. Errors result from mathematical mistakes, mistakes in the application of GAAP, or the oversight or misuse of facts known or available to the accountant at the time the financial statements were prepared. Errors can occur in recognition, measurement, presentation, or disclosure. A change from an unacceptable (or incorrect) accounting principle to a correct principle is also considered a correction of an error and not a change in accounting principle. Such a change should not be confused with the preferability determination discussed earlier that involves two or more acceptable principles. An error correction pertains to the recognition that a previously used method was not an acceptable method at the time it was employed.

The essential distinction between a change in estimate and the correction of an error depends upon the availability of information. An estimate requires revision because by its nature it is based upon incomplete information. Later data will either confirm or contradict the estimate and any contradiction will require revision of the estimate. An error results from the misuse of existing information available at the time which is discovered at a later date. However, this discovery is not as a result of additional information or subsequent developments.

ASC 250 specifies that, when correcting an error in prior period financial statements, the term “restatement” is to be used. That term is exclusively reserved for this purpose so as to effectively communicate to users of the financial statements the reason for a particular change in previously issued financial statements.

Restatement consists of the following steps:

  1. Step 1 Adjust the carrying amounts of assets and liabilities at the beginning of the first period presented in the financial statements for the cumulative effect of correcting the error on periods prior to those presented in the financial statements.
  2. Step 2 Offset the effect of the adjustment in Step 1 (if any) by adjusting the opening balance of retained earnings (or other components of equity or net assets, as applicable to the reporting entity) for that period.
  3. Step 3 Adjust the financial statements of each individual prior period presented for the effects of correcting the error on that specific period (referred to as the period-specific effects of the error).

The restated financial statements are presented below.

Truesdell Company
Statements of Income and Retained Earnings
As Restated
Years Ended December 31, 20X3 and 20X2
20X3 20X2
restated
Sales $2,100,000 $2,000,000
Cost of sales
Depreciation 740,000 710,000
Other 410,000 390,000
1,150,000 1,100,000
Gross profit 950,000 900,000
Selling, general, and administrative expenses 460,000 450,000
Income from operations 490,000 450,000
Other income (expense) (5,000) 10,000
Income before income taxes 485,000 460,000
Income taxes 200,000 184,000
Net income 285,000 276,000
Retained earnings, beginning of year, as originally reported 5,569,000 6,463,000
Restatement to reflect correction of depreciation (Note X) 30,000
Retained earnings, beginning of year, as restated 5,569,000 6,493,000
Dividends (800,000) (1,200,000)
Retained earnings, end of year $5,054,000 $5,569,000
Truesdell Company
Statements of Financial Position
As Restated
December 31, 20X3 and 20X2
20X3 20X2 restated
Assets
Current assets $2,840,000 $2,540,000
Property and equipment
Cost 3,750,000 3,500,000
Accumulated depreciation and amortization (1,050,000) (340,000)
2,700,000 3,160,000
Total assets $5,540,000 $5,700,000
Liabilities and stockholders' equity
Income taxes payable $50,000 $ 36,000
Other current liabilities 110,000 12,000
Total current liabilities 160,000 48,000
Noncurrent liabilities 313,000 70,000
Total liabilities 473,000 118,000
Stockholders' equity
Common stock 13,000 13,000
Retained earnings 5,054,000 5,569,000
Total stockholders' equity 5,067,000 5,582,000
Total liabilities and stockholders' equity $5,540,000 $5,700,000

When restating previously issued financial statements, management is to disclose

  1. The fact that the financial statements have been restated
  2. The nature of the error
  3. The effect of the restatement on each line item in the financial statements
  4. The cumulative effect of the restatement on retained earnings (or other applicable components of equity or net assets):
    1. At the beginning of the earliest period presented in comparative financial statements, or
    2. At the beginning of the period in single-period financial statements
  5. The effect on net income, both gross and net of income taxes
    1. For each prior period presented in comparative financial statements, or
    2. For the period immediately preceding the period presented in single-period financial statements
  6. For public companies (or others electing to report earnings per share data), the effect of the restatement on affected per-share amounts for each prior period presented.

These disclosures need not be repeated in subsequent periods.

The correction of an error in the financial statements of a prior period discovered subsequent to their issuance is reported as a prior period adjustment in the financial statements of the subsequent period.

Evaluating Uncorrected Misstatements

Misstatements, particularly if detected after the financial statements have been produced and distributed, may under certain circumstances be left uncorrected. This decision is directly impacted by judgments about materiality, an important concept discussed in Chapter 1. The financial statement preparer is expected to exercise professional judgment in determining the level of materiality to apply in order to cost-effectively prepare full, complete, and accurate financial statements in a timely manner. However, there have been instances where the materiality concept has been used to rationalize the noncorrection of errors that should have been dealt with, and indeed even to excuse errors known when first committed. The fact that the concept of materiality has sometimes been abused led to the promulgation of further guidance relative to error corrections.

Although independent auditors are charged with obtaining sufficient evidence to enable them to provide the financial statement user with reasonable assurance that management's financial statements are free of material misstatement, the financial statements are primarily the responsibility of the preparers. Certain auditing literature is therefore germane to the preparers' consideration of matters such as error corrections and application of materiality guidelines. These matters are further explored in the following paragraphs.

Types of Misstatements

Preparers of financial statements need to have control procedures to reduce the risk of accounting errors being committed and not detected. From the auditors' perspective, it is required that the examination be conducted in a manner that will provide reasonable assurance of detecting material misstatements, including those resulting from errors. Known misstatements arise from:

  1. Incorrect selection or application of accounting principles
  2. Errors in gathering, processing, summarizing, interpreting, or overlooking relevant data
  3. An intent to mislead the financial statement user to influence their decisions
  4. To conceal theft.

Likely misstatements arise from:

  1. Differences in judgment between management and the auditor regarding accounting estimates where the amount presented in the financial statements is outside the range of what the auditor believes is reasonable
  2. Amounts that the auditor has projected based on the results of performing statistical or nonstatistical sampling procedures on a population.

Management, in assessing the impact of uncorrected misstatements, is required to assess materiality both quantitatively and qualitatively from the standpoint of whether a financial statement user would be misled if a misstatement were not corrected or if, in the case of informative disclosure errors, full disclosure was not made. Qualitative considerations include (but are not limited to) whether the misstatement:

  1. Arose from estimates or from items capable of precise measurement and, if the misstatement arose from an estimate, the degree of precision inherent in the estimation process
  2. Masks a change in earnings or other trends
  3. Hides a failure to meet analysts' consensus expectations for the reporting entity
  4. Changes a loss to income or vice versa
  5. Concerns a segment or other portion of the reporting entity's business that has been identified as playing a significant role in operations or profitability
  6. Affects compliance with loan covenants or other contractual commitments
  7. Increases management's compensation by affecting a performance measure used as a basis for computing it
  8. Involves concealment of an unlawful transaction.

Misstatements from Prior Years

Management may have decided to not correct misstatements that occurred in one or more prior years because, in their judgment at the time, the financial statements were not materially misstated. Two methods of making that materiality assessment—sometimes referred to as the “rollover” and the “iron curtain” methods—have been widely used in practice. These are described and illustrated in the following paragraphs.

The rollover method quantifies a misstatement as its originating or reversing effect on the current period's statement of income, irrespective of the potential effect on the statement of financial position of one or more prior periods' accumulated uncorrected misstatements.

The iron curtain method, on the other hand, quantifies a misstatement based on the accumulated uncorrected amount included in the current, end-of-period statement of financial position, irrespective of the year (or years) in which the misstatement originated.

Each of these methods, when considered separately, has strengths and weaknesses, as follows:

Method Focuses on Strength Weakness
Rollover Current period income statement Focuses on whether the income statement of the current period is materially misstated, assuming that the statement of financial position is not materially misstated Material misstatement of the statement of financial position can accumulate over multiple periods
Iron curtain End of period statement of financial position Focuses on ensuring that the statement of financial position is not materially misstated, irrespective of the year or years in which a misstatement originated Does not consider whether the effect of correcting a statement of financial position misstatement that arose in one or more periods is material to the current period income statement

Guidance for SEC Registrants

The SEC staff issued Staff Accounting Bulletin (SAB) 108, Considering the Effects of Prior Year Misstatements in Current Year Financial Statements, to address how registrants (i.e., publicly held corporation) are to evaluate misstatements. SAB 108 prescribes that if a misstatement is material to either the income statement or the statement of financial position, it is to be corrected in a manner set forth in the bulletin and illustrated in the example and diagram below.

If the cumulative effect adjustment occurs in an interim period other than the first interim period, the SEC waived the requirement that previously filed interim reports for that fiscal year be amended. Instead, comparative information presented for interim periods of the first year subsequent to initial application is to be adjusted to reflect the cumulative effect adjustment as of the beginning of the fiscal year of initial application. The adjusted results are also required to be included in the disclosures of selected quarterly information that are required by Regulation S-K, Item 302.

Entities that do not meet the criteria to use the cumulative effect adjustment are required to follow the provisions of ASC 250 that require restatement of all prior periods presented in the filing.

Interim Reporting Considerations

If a change in accounting principle is made in an interim period, the change is made using the same methodology for retrospective application discussed and illustrated earlier in this chapter. Management is precluded from using the impracticability exception to avoid retrospective application to prechange interim periods of the same fiscal year in which the change is made. Thus, if it is impracticable to apply the change to those prechange interim periods, the change can only be made as of the beginning of the following fiscal year. FASB believes this situation will rarely occur in practice.

ASC 270 requires that interim financial reports disclose any changes in accounting principles or the methods of applying them from those that were employed in:

  1. The prior fiscal year;
  2. The comparable interim period of the prior fiscal year; and
  3. The preceding interim periods of the current fiscal year.

The disclosures required by ASC 250 for changes in accounting principle are to be made, in full, in the financial statements of the interim period in which the change is made.

Public Companies

When a public company adopts a new standard in an interim period, the ASC 270 disclosures cited above are to be supplemented, as applicable, with all disclosures required by the newly adopted standard to be included in annual financial statements. If the change is made in a period other than the first quarter, prior filings are not required to be amended; however, adjustment of each prior quarter's results is to be included in the filing for the quarter in which the new principle is being adopted. If the newly adopted standard requires retrospective application to all prior periods, the prior interim quarters are also to be presented on an adjusted basis.

In addition, a special disclosure rule applies to a public company that:

  1. Changes accounting principles in the fourth quarter of a fiscal year;
  2. Regularly reports interim financial information; and
  3. Does not separately disclose in its annual report (or in a separate report) the minimum summarized information required by ASC 270 for the fourth quarter of the fiscal year.

When all three of these conditions are present, management is required to disclose in a note to the annual financial statements the effects of the change on interim period results.

Going Concern Considerations

Financial statements prepared in accordance with GAAP presume that the reporting entity is expected to remain in operation for the foreseeable future. This “going concern” assumption is important, since in its absence many accounting conventions and practices (e.g., depreciation of long-lived assets over expected economic lives) would not be sensible, as the ability to realize the economic benefits of such assets would be in doubt.

US auditing standards have long required auditors to affirmatively evaluate whether there was substantial doubt about the ability of the reporting entity to continue as a going concern for a reasonable period following the date of the financial statements, but not for longer than one year from that date. When substantial doubt was found to exist, this was cited in the auditors' report, and the financial statements were required to include, as footnote disclosure, information about the reasons for such doubts, as well as about management's plans to cope with the circumstances. (When such informative disclosures were not provided by management, the auditors were generally required to qualify their opinions due to lack of adequate disclosure, notwithstanding inclusion of “going concern” language in the auditors' report itself.)

Other Sources

See ASC Location – Wiley GAAP Chapter For information on…
ASC 260-10-55-15 through 55-16 The effect of restatements expressed in per-share terms
ASC 323-10-45-1 through 45-2. The classification of an investor's share of error corrections reported in the financial statements of the investee

Notes

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