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FIN 47, Conditional Asset Retirement Obligations

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Promissory estoppel. Asset retirement cost (ARC) capitalized as part of related asset cost, then ... ARO could be incurred at acquisition, ratably over life, or ... – PowerPoint PPT presentation

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Title: FIN 47, Conditional Asset Retirement Obligations


1
FIN 47, Conditional Asset Retirement
Obligations
  • NARUC Staff Subcommittee on Accounting and
    Finance
  • September 19, 2005
  • Casey Herman, PricewaterhouseCoopers LLP
  • 312.298.4462

2
FAS 143 - Asset Retirement Obligations
  • Recognition of ARO liabilities at fair value when
    incurred
  • Applies to unavoidable existing legal obligations
    associated with retirement as a result of
  • Law or regulation
  • Contractual obligation
  • Promissory estoppel
  • Asset retirement cost (ARC) capitalized as part
    of related asset cost, then depreciated
    systematically and rationally

3
FAS 143 - Asset Retirement Obligations
  • ARO could be incurred at acquisition, ratably
    over life, or upon enactment of new requirements
  • Recognition of subsequent changes to ARO due to
    (i) passage of time and (ii) changes in amount
    and timing of estimated cash flows
  • Special recognition situations - AROs with
    indeterminate settlement dates
  • Within the scope of the standard
  • Not recognized if not estimable
  • Recognized when amount becomes estimable

4
FIN 47 Accounting for Conditional Retirement
Obligations
  • Issued March 2005
  • Effective date and transition
  • No later than the end of fiscal years ending
    after December 15, 2005
  • Recorded as a cumulative effect
  • Retrospective application for interim periods in
    2005 is permitted, but not required.

5
FIN 47 Summary
  • Clarifies that a legal obligation associated with
    the retirement of a long-lived asset whos (i)
    timing and (or) (ii) method of settlement are
    conditional on a future event is within the scope
    of FAS 143.
  • The obligation is unconditional even though
    uncertainty exists about the timing or method of
    settlement

6
FIN 47 Summary
  • Accordingly, entities are required to recognize a
    liability for an ARO that is conditional on a
    future event if a fair value can be reasonably
    estimated.
  • Uncertainty surrounding the timing and method of
    settlement would be factored into the measurement
    of the liability rather than the recognition of
    the liability.

7
FIN 47 Summary
  • An ARO would be reasonably estimable if
  • Its evident that the fv of the obligation is
    embodied in the acquisition price of the asset,
  • An active market exists for the transfer of the
    obligation
  • Sufficient information exists to apply an
    expected present value technique

8
FIN 47 Summary
  • Sufficient information to apply PV techniques
    exists if either
  • The settlement date and method of settlement are
    specified by others. For example by law,
    regulation or contract.
  • Information is available to reasonably estimate
    (i) settlement date or range of potential
    settlement dates (ii) method or potential
    methods of settlement (iii) probabilities
    associated the potential dates and methods.

9
FIN 47 Summary
  • If sufficient information is not available at the
    time the ARO is incurred, recognition would be
    required in the period that sufficient
    information becomes available, and disclosure of
    the facts and reasons for the inability to
    estimate shall be disclosed.

10
FIN 47 Examples
  • Example 1 Chemically Treated Poles
  • A telecommunications network utilizes chemically
    treated wood poles. There is no legal requirement
    to remove poles, but the owner replaces the poles
    periodically for operational reasons. Once
    removed from the ground, special disposal
    procedures are required.
  • Although the entity may decide not to remove the
    polesor may decide to reuse the poles, the
    ability to defer settlement does not relieve the
    entity of the obligation.
  • The poles will eventually need to be removed and
    disposed of since the poles will not last
    forever.
  • Conclusion Therefore, an ARO should be
    recognized when the poles are installed.
    Uncertainty surrounding the timing and method of
    settlement should be factored into the
    measurement. If there was a legal requirement to
    remove the poles, the cost of removal would be
    included.

11
FIN 47 Examples
  • Example 3 Factory with Asbestos
  • The factory is maintained by activities that does
    not involve asbestos removal. There is no
    special disposal of asbestos unless factory
    undergoes renovation or is demolished. The
    entity believes it does not have sufficient
    information to estimate the fair value of the ARO
    because the settlement date or range of potential
    settlement dates has not been specified by others
    and info is not available to apply a PV
    technique.
  • Although the timing of the performance of the ARO
    is conditional on potential renovation or
    demolish, existing regulations establish a duty
    to the dispose the asbestos in a special manner.
  • Conclusion An ARO will not be recognized until
    the range of settlement dates can be estimated.
    The entity should disclose the description of the
    obligation, the fact that the liability can not
    be estimated and the reasons why the liability
    can not be estimated.

12
FIN 47 Examples
  • Example 4 Factory with Asbestos
  • Same facts as example three. Ten years after the
    acquisition date, the entity obtains additional
    information based on changes in demand for
    products manufactured at that factory. At that
    time, the entity has the information to estimate
    a range of potential settlement dates, the
    potential methods of settlement, and the
    associated probabilities.
  • Conclusion An ARO would be recognized by this
    entity 10 years after the acquisition date
    because that is when the entity has sufficient
    information to estimate the fair value of the
    ARO.

13
FIN 47 Implementation Issues
  • Poles - example valuation approach
  • Determine expected life of poles
  • Group poles by vintage years (or some other
    method?)
  • Determine removal dates (or range of dates)
  • Determine the method(s) of disposal and the cost
  • PV the disposal cost for each group

14
FIN 47 Implementation Issues
  • Asbestos - example valuation approach
  • Determine the extent of asbestos in owned
    facilities
  • Determine whether or not asbestos can be
    indefinitely contained
  • Determine a range of possible removal dates
  • Determine the method(s) of removal and cost
  • Apply CON 7 model based on multiple scenarios

15
FIN 47 Implementation Issues
  • Nuclear generator Does ARO include removal of
    component, storage or only the disposal cost?
  • Spent nuclear fuel Interim storage?
  • PCB Transformer Often removed as maintenance?
  • Pipeline compressor PCB damage not required
    until right of way abandoned
  • Power plants - hydro-electric facilities or water
    intake systems under FERC, state or other
    regulatory licenses?
  • Coal plants - ash disposal ponds?
  • Natural gas fired power plants and natural gas
    pipelines or storage facilities as part of
    license agreements?

16
Rate Recovery Considerations
  • Differences between amounts collected in rates
    and amounts recognized in accordance with FIN 47
    should be reflected as a regulatory assets and
    liabilities, if the requirements of FAS 71 are
    met.
  • Current regulatory liabilities may already
    reflect rate recovery for obligations to be
    recognized in accordance with FIN 47 (i.e.
    poles).
  • Possible reclassification of regulatory
    liabilities to asset removal obligation
    liabilities.
  • Profit margin embedded in the cost valuation of
    the obligation may not be probable of recovery in
    rates.

17
Bookkeeping Complications - Only a Portion of
Retirement Cost is an ARO
  • Cost of removal not legally required to remove
    and therefore not an ARO
  • Cost of disposal if legally required once item
    is removed it is an ARO
  • Salvage value is not accounted for until incurred
  • Previous funding and accounting for
    cost-of-removal or negative net salvage

18
FIN 47 Day 2 Accounting Matters
  • Research and measurement of conditional AROs
  • Component-level assets
  • ARO or repairs maintenance expense
  • Regulatory recovery of depreciation and accretion
    expense
  • Salvage values and removal costs imbedded in
    accumulated depreciation
  • Record-keeping and reporting
  • Unit of accounting / property records
  • Mass-units of property
  • Existing regulatory liability for cost of removal
  • Changes in estimate

19
FIN 47 Day 2 Accounting Matters
  • Example -
  • You have completed the implementation of FIN 47.
    You are now incurring costs associated with the
    removal and disposal process

20
FIN 47 Day 2 Accounting Matters
  • Example (continued)-
  • During the period, you have incurred 100 in
    costs to dispose and remove 5 poles.

Entry 1 To record disposal of the asset DR.
Plant 500 CR. A/D 500 Consistent with
historical application of composite based
depreciation.
21
FIN 47 Day 2 Accounting Matters
  • Example (continued)-
  • During the period, you have incurred 100 in
    costs to dispose and remove 5 poles.

Entry 2 To record the cost of disposal of the
asset DR. ARO ??? DR. Reg.
Liability ??? DR. Gain/loss on
removal ??? CR. Cash 100
22
  • Questions?
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