Title: AcSEC Presentation NTLD Task Force
1AcSEC PresentationNTLD Task Force
2What Do We Want to Accomplish Today?
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- Conclude on Transition
- Start Reviewing SOP
- Presentation of the Deferred Amount for Sales
Inducements - Accounting for Transfers from the General Account
to Separate Accounts
3Separate Account Presentation
- This SOP establishes new criteria for separate
accounts to qualify for summary total
presentation and valuation. - Companies that have separate accounts that no
longer qualify for summary totals will have to
reclassify and revalue as part of the general
account.
4Transition - Assets Reclassified to the General
Account from Separate Accounts
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- Task Force Recommendation
- Any revaluation adjustment due to the
reclassification of assets from separate accounts
to the general account should be reported in a
manner similar to the cumulative effect of change
in accounting principle in accordance with APB
20, Accounting Changes, through net income or
comprehensive other income, as appropriate. -
-
5Transition Issues Relating to FAS 115 Securities
- Transition provisions could be different if
considered a transfer between FAS 115 categories
or an initial adoption of FAS 115 - Transfers between FAS 115 categories occur at
current carrying value with no cumulative
adjustment. - Initial adoption of FAS 115 allowed for reversal
of previously recorded holding gains and losses
through earnings as a cumulative adjustment.
6Separate Account Transition ExampleMarket Value
Adjusted Contracts (MVA)
- Some companies had assets underlying MVA
contracts at fair value, with liability at MVA
balance. - SOP conclusion is that these contracts do not
qualify for separate account presentation and the
liability should be at accreted value. - Results in liability revalued through cumulative
adjustment.
7Separate Account Transition ExampleMarket Value
Adjusted Contracts (MVA)
- For the reclassification of the related assets
- If treated as a transfer between FAS 115
categories, the current fair value will become
the new basis with no cumulative adjustment. - If treated as initial adoption of FAS 115, the
original amortized cost or fair value, as
applicable, will become the new basis with a
possible cumulative adjustment to reverse the
previously recorded holding gains and losses.
8Transition Issues Relating to FAS 115 Securities
- Task Force Recommendation
- To treat as initial adoption of FAS 115
- Unclear whether assets carried at market in
separate account was considered FAS 115 election
of intent. - If actually an election of intent, circumstances
were different from what the SOP is recommending.
- Given the nature of the guidance on
reclassification and liability valuation, related
asset transfer and revaluation also should be
treated as cumulative adjustments.
9Seed Money
- For separate accounts meeting the criteria in
paragraph 10 of the SOP, the contract holder
relationship generally allows for the purchase of
additional units in the separate accounts,
therefore, the assets underlying the insurance
enterprises interest in the separate account
should be considered held for sale and accounted
for accordingly . - Bonds and Stocks, AFS or Trading
- Mortgage Loans, FAS 65
- Real Estate, FAS 121
10Transition for Seed Money
- Task Force Recommendation
- All reclassification of seed money assets to be
treated as cumulative effect. - This conclusion is similar to prior transition
conclusion for FAS 115 securities. - Achieves similar transition for all types of
asset reclassification from separate accounts to
general account.
11Contractually Referenced Pool of Assets
- For contracts that provide a return based on the
total return of a contractually referenced pool
of assets, the amounts credited to the accreted
account balance should be based on the fair value
of the referenced pool of assets at the balance
sheet date. - For example Pension Participating Contracts
- Transition guidance is needed for debt or equity
securities subject to FAS 115 contained in the
referenced pool of assets.
12Transition - Contractually Referenced Pool of
Assets
- Task Force Recommendation
- Debt or equity securities, subject to FAS 115,
may be reclassified to trading with the
revaluation adjustment recognized as a cumulative
effect similar to the liability transition
adjustment. -
13Determination of Significance of Mortality and
Morbidity Risk
- For contracts that offer death benefit or other
insurance benefit features, the SOP interprets
the test for significance of mortality and
morbidity risk. - If significant, a liability should be established
in addition to the account balance.
14Transition - Determination of Significance of
Mortality and Morbidity Risk
-
- For contracts that are inforce on the date of
initial application of this SOP, the
determination of significance of mortality and
morbidity could be performed either at - Contract Inception
- Prospectively (no redetermination for existing
contracts) - Date of Adoption
15Contract Inception
- For each contract a calculation of reasonable
outcomes as of the contract inception, without
the use of hindsight. - Pros
- Consistent with FAS 97 transition and other
restatement guidance - Cons
- Documentation
- Verification
- Use of hindsight
- Differs from FAS 97 as no restatement allowed by
this SOP -
16Prospective
- Test is performed only on newly issued
contracts. - Pros
- Only time the test can be done using only
expectations - Only method that does not use hindsight to change
the designation of a contract - Cons
- Noncomparability of contracts sold before and
after adoption if SOP test would give a different
designation - Determination of significance was previously
based on best estimate, not expected value as
defined in this SOP
17Date of Adoption (Task Force Recommendation)
- Reperform significance test for all inforce
contracts using actual to date and current
expectations for the future. - Pros
- More practical than contract inception
- All contracts will be on new SOP
- Cons
- Revisiting a test that should have been done at
contract inception under FAS 97, now using
actuals to date - Allows for changing of designation based on
experience after inception, which would not be
allowed for new issues
18Liability Valuation Guidance
- Accreted account balance is based on the highest
contractually determinable balance that will be
available in cash or its equivalents without
reduction for future fees and charges expected to
be assessed. - A liability should not be reported for
annuitization options.
19Transition - Adjustments from Applying Liability
Valuation Guidance
- Task Force Recommendation
- Any adjustments resulting from applying the
liability valuation guidance (accreted account
balance), other than for amounts deferred for
sales inducements, should be reported in a manner
similar to the cumulative effect of a change in
accounting principle in accordance with APB 20,
Accounting Changes, through net income. - For amounts previously accrued under EITF Topic
D-41, there also will be an offsetting cumulative
adjustment in other comprehensive income. -
20Sales Inducements
- Sales inducements that are explicitly identified
in the contract and meet the specified criteria
should be deferred and amortized over the life of
the book of contracts. - Amortization of deferred sales inducements should
use the same methodology and assumptions used to
amortize capitalized acquisition costs under FAS
97. - Amortization should be reported as a component of
benefit expense.
21Transition - Deferral of Costs Incurred for
Sales Inducements
- Task Force Recommendations
- SOP guidance for sales inducements is effective
for new contracts entered into after December 31,
2002 and should be applied prospectively. - Costs incurred for sales inducements prior to
initial application of this SOP, whether
capitalized or not, should not be adjusted to the
amounts that would have been deferred had this
SOP been in effect when those costs were
incurred. - An adjustment of the liability as a result of
sales inducements that meet the criteria of this
SOP should result in an adjustment to the
deferred asset. -
22Transition - Deferral of Costs Incurred for
Sales Inducements
- Pros
- Consistent with transition for SOP 98-1
- If expensed in the past, records for
capitalization may not exist - Cons
- Inconsistent with liability and investment asset
transition
23Transition - Amortization of Costs Incurred for
Sales Inducements
- Guidance of this SOP concerning amortization
should be applied to any unamortized sales
inducement costs capitalized prior to initial
application of this SOP that continue to be
reported as a deferred asset after the effective
date. - Consistent with transition for SOP 98-1.
-
24Transition - Adjustments to Unamortized Deferred
Acquisition Costs
- Any adjustments to unamortized deferred
acquisition costs or present value of future
profits as a result of adopting this SOP should
be reported in a manner similar to the cumulative
effect of a change in accounting principle in
accordance with APB 20, Accounting Changes,
through net income. - For amounts previously reported under EITF Topic
D-41, there also will be a cumulative adjustment
in other comprehensive income.
25-
- Other Topics not yet discussed by AcSEC
26Sales Inducements
- AcSEC Tentative Conclusion Sales inducements
that are explicitly identified in the contract
and meet the specified criteria should be
deferred and amortized over the expected life of
the contracts. - Task Force Recommendation the deferred amount
of sales inducement costs should be reported on
the balance sheet as a deferred asset. - Amount is amortized in the same manner as DAC
- Clearer to have all deferred amounts in the same
area
27Transfers to Separate Accounts
- AcSEC Tentative Conclusion The insurance
enterprise should retain the general account
classification and accounting basis for assets
transferred from the general account to separate
accounts in which the insurance enterprise has an
ownership interest, to the extent of the general
accounts proportionate interest in the separate
account. - Task Force Recommendation
- Losses on such transfers should be recognized
immediately in earnings. - Gains on transfers should be recognized to the
extent of contract holders proportionate
interest in the separate account. If the
separate account subsequently sells the asset to
third party the remaining gain should be
recognized.