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Not-for-Profit Annual Accounting and Federal Grant Update – New Rules for Now and Later
Presented by: Michelle Spriggs and Lisa Wills
April 17, 2014
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Before We Get Started…
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This webinar is eligible for CPE credit. To receive credit, you will need to answer periodic participation markers throughout the webinar.
External participants will receive their CPE certificate via email immediately following the webinar.
CPE Credit
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Michelle E. Spriggs, CPA, MBA Shareholder 774.206.8336 | mspriggs@cbiztofias.com Michelle is a Shareholder in the Firm’s Not-For-Profit and Higher Education Audit Practice. Michelle is the not-for-profit subject matter expert in the Firm’s National Professional Standards Group. She has over 20 years of audit experience and is solely dedicated to serving not-for-profit organizations. Her experience includes managing financial statement and OMB Circular A-133 audits; assisting in bond offerings; providing recommendations on internal controls; and training other accounting and auditing professionals to provide support to not-for-profit clients.
Today’s Presenters
Lisa Wills, CPA Principal 401.626.3232 | lwills@cbiz.com
Lisa is a Director in the Firm’s Not-For-Profit and Higher Education Audit Practice. She has over 20 years of experience providing accounting services to public and private educational institutions and not-for-profit entities. Lisa has extensive experience with FASB and GASB financial statement audits, OMB Circular A-133 audits, federal and state compliance audits, NCAA audits and agreed-upon procedures, tax-exempt bond offerings and related due diligence procedures.
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The information in this Executive Education Series course is a brief summary and may not include all
the details relevant to your situation.
Please contact your service provider to further discuss the impact on your business.
Disclaimer
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Today’s Agenda
1 Changes to Accounting and Auditing Standards – What to Expect this Year
2 Changes to Accounting and Auditing Standards – What to Expect Going Forward
3 Changes to OMB Circular A-133 and Cost Circulars
Proposed Changes to the Not-for-Profit Reporting Model and Other Considerations
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Questions and Answers 6
4 The New COSO Reporting Model
CHANGES TO ACCOUNTING AND AUDITING STANDARDS
What to expect this year
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Statement of Cash Flows Presentation – ASU 2012-05 Classify donated financial assets as inflows from operating
activities if: Upon receipt, assets were directed for sale without any limitations Assets were converted to cash nearly immediately Donor did not restrict the use of the assets for long-term purposes
If donor restricted for long-term purpose, such as a capital expenditure, then the donation is classified in the financing section
In all other cases (i.e. not converted to cash), classify as investing activities
Donated Financial Assets
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Effective prospectively for fiscal years beginning after June 13, 2013:
Retrospective application to all prior periods presented upon the date of adoption is permitted.
Early adoption from the beginning of the fiscal year of adoption is permitted.
Donated Financial Assets – Continued
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Definition of a Public Business Entity - FASB ASU No. 2013-12
Minimizes the inconsistency and complexity of having multiple definitions of, or a diversity in practice as to what constitutes a nonpublic business entity and public entity within U.S. GAAP on a going-forward basis.
Public Business Entity
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Amends the Glossary of the Codification to include one definition of a public business entity for future use in U.S. GAAP.
Excludes all not-for-profit entities from the definition (including holders of public debt securities or conduit debt).
Does not affect existing financial reporting guidance. Effective for new standards going forward.
Public Business Entity – Continued
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Reminder on AICPA updates relevant to NFPs TIS Section 2130.38/2130.40 – Certificates of Deposit
and Fair Value Disclosures Certificates of deposit generally do not meet the definition of
a security and are not subject to fair value disclosures
TIS Section 2130.39 – Balance Sheet Classification of Certificates of Deposit Certificates of deposit with original
maturities of 90 days or less are generally classified as cash and cash equivalents
AICPA Technical Practice Aids
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TIS Section 6140.23 – Changing Net Asset Classifications Reported in a Prior Year Consider individual net asset classes in determining a
correction of an error
TIS Section 6140.24 – Contributions of Certain Nonfinancial Assets, Such as Fundraising Material, Informational Material, or Advertising, Including Media Time or Space for Public Service Announcements or Other Purposes Explains how NFPs should evaluate whether such media
services should be considered contribution revenue
AICPA Technical Practice Aids – Continued
CHANGES TO ACCOUNTING AND AUDITING STANDARDS
What to expect going forward
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Services Received from Personnel of an Affiliate – FASB ASU No. 2013-06
Clarifies the guidance that not-for-profit entities apply for recognizing and measuring services received from personnel of an affiliate. Services provided by personnel of an affiliate under direct
supervision of the recipient not-for-profit Shared services of an affiliate group
that the recipient would have to purchase if they were not provided
Affiliated Services
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How services from affiliates should be measured: At the cost recognized by the affiliate for the personnel
providing the services If recognizing at cost will significantly overstate the value of
the services received, then recipient NFP may elect to recognize at either: Cost recognized by affiliate for the
personnel providing the service, or Fair value of the service
Affiliated Services – Continued
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Financial statement presentation If health care entity, report the services as an equity transfer
from the affiliate and increase in net assets. All others:
Increase in contribution revenue Corresponding decrease in net assets (expense or asset)
Effective for fiscal years beginning after June 15, 2014 Modified retrospective application
permitted Early adoption permitted
Affiliated Services – Continued
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FASB issued Exposure Draft in June 2013 Provides a more systematic and consistent approach
to how management should evaluate going concern uncertainties
Going Concern Uncertainties
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Proposed Approach Describes how management should evaluate going
concern uncertainties and what information should be provided in the footnotes to the financial statements New definitions and disclosure thresholds Scalable reporting requirements allowing disclosures to evolve as
the level of financial stress increases Applies to all entities that use U.S. GAAP, though some
disclosures would apply only to SEC filers that use U.S. GAAP
Multi-step evaluation process by management to determine whether going concern disclosures are necessary
Going Concern Uncertainties – Continued
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FASB Exposure Draft – Revenue from Contracts with Customers
Fundamental principle: An entity should recognize revenue from contracts with
customers when it transfers goods or services to the customer in the amount of consideration the entity receives, or expects to receive, from the customer
Revenue Recognition
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Five-step model: 1. Identify contract(s) with customer 2. Identify separate performance obligations in the contract(s) 3. Determine the transaction price 4. Allocate the transaction price 5. Recognize revenue when the
performance obligation is satisfied
Revenue Recognition – Continued
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Potential Impact on Not-for-Profits Grants and sponsored research
Exchange transactions Transfer of promised good or service vs. product delivery
Not-for-profit contracts which are not profitable Tuition revenue Contributions and collaborative arrangements are scoped out Likely enhanced disclosures
Final standard was expected in first quarter 2014
Revenue Recognition – Continued
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Lease accounting continues to be a topic for discussion, with continued Exposure Drafts and deliberation
Current status: Revised Exposure Draft released in May 2013, with
comments due by third quarter of 2013 No proposed effective date
Leases
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2013 Exposure Draft: For most leases other than real estate:
Recognize the right of use asset and a lease liability, initially recognized at the present value of lease payments
Recognize and report the interest expense on the lease liability separately from the amortization of the right of use asset
For most real estate leases: Recognize a right of use asset and a lease liability at the present
value of lease payments Recognize a single lease cost – that combines the interest on the
lease liability with the amortization of the right of use asset – on a straight line basis
Leases – Continued
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Effect on Not-for-Profit Organizations Financial statement impact
Increase in total assets and total liabilities Lease payment expense replaced by amortization of right-to-use
asset and interest expense Overall change in net assets
Could have an impact on financial ratios
Leases – Continued
CHANGES TO OMB CIRCULAR A-133 AND COST CIRCULARS
What to expect under the new grant reform
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December 26, 2013 – OMB issued Final Grant Reform Rules Uniform Administrative Requirements, Cost Principles, and
Audit Requirements for Federal Awards
Affects over $600 billion in annual Federal grants
Streamlining cost circulars and guidance
OMB Grant Reform
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OMB Grant Reform – Intent
Consolidate
Simplicity
Streamline
Consistency
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OMB Grant Reform – Chronology
Presidential Direction
(Executive Order; Memorandum to
Agencies)
2/28/12 –
Advance Notice of Proposed Guidance
2/1/13 –
Notice of Proposed Guidance
(Rulemaking)
12/26/13 –
Issue of Final
Guidance (2 CFR Part
200)
6/26/14 –
Federal Agency Draft
Regulations to OMB
12/26/14 –
Uniform Adoption by all Federal Agencies
Fiscal years
beginning after
12/26/14 –
single audit requirement (Subpart F)
Applies
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OMB Grant Reform – Changes Hello • Uniform Administrative Requirements,
Cost Principles, and Audit Requirements for Federal Awards
• UARCPARFA • Super Circular • Omni Circular
Goodbye • Administrative requirements:
• A-102 State & Local Government • A-110 Colleges, Universities and Not-for-
profits • A-89 Catalog of Federal Domestic
Assistance • Cost circulars:
• A-21 Colleges & Universities • A-87 State & Local Government • A-122 Not-for-profits
• A-133
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OMB Grant Reform – Structure
Contents Reference Origin
A – Acronyms and Definitions 200.0 – 200.99 All Circulars
B – General Provisions 200.100 – 200.113 All Circulars
C – Pre-Federal Award Requirements and Contents of Federal Awards
200.200 – 200.211 A-110 and A-89
D – Post-Federal Award Requirements
200.300 – 200.345 A-110 and A-102
E – Cost Principles 200.400 – 200.475 A-21, A-87 and A-122
F – Audit Requirements 200.500 – 200.521 A-133
Appendices
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Appendix
Appendix III Indirect Cost Procedures for Educational Institutions
Appendix IV Indirect Cost Procedures for Nonprofit Organizations
Appendices V-VII Procedures for State, Local and Tribal Governments
OMB Grant Reform – Key Appendices
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OMB Grant Reform – Changes to Subpart F
Final Changes to A-133 Audits – Effective for December 31, 2015 Year-Ends Impact
Single audit threshold to increase from $500,000 to $750,000
Allows for relief for entities doing modest business from federally derived funds.
Type A/B program minimum threshold increase from $300,000 to $750,000
May reduce the number of programs considered major in an audit and therefore fewer programs audited.
Major program determination focus on areas with internal control deficiencies that have been identified as material weaknesses
Entities with strong internal controls and few audit findings could have fewer high-risk Type A programs and fewer programs audited.
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OMB Grant Reform – Changes to Subpart F - Continued
Final Changes to A-133 Audits – Effective for December 31, 2015 Year-Ends Impact
Percentage of audit coverage decrease from 25% to 20% for low risk auditee and 50% to 40% for high risk auditee
Could reduce the number of programs considered major in an audit.
Threshold for reporting questioned costs to increase from $10,000 to $25,000
Could reduce the number of reported findings but more detail would be required for reported findings.
Further changes to the compliance requirements required for audit are being considered by OMB
We will keep you updated on developments; expecting guidance in summer/fall of 2014.
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2 CFR 200 – Subpart E
2 CFR 200.400 – 475 Applicable to States, Local Governments, Tribal
Governments, Colleges and Universities and Nonprofit Organizations
Not applicable to Commercial Organizations and Hospitals Maybe later
The New Cost Principles “Package”
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Recipient responsibility for employing sound management practices
Recipient autonomy related to organizational structure, staffing and management
Recipient decision making related to charging practice (direct vs. indirect)
No profit in Federal assistance Total recovery: allowable costs plus allocable indirect
costs minus applicable credits
Key Basic Concepts of Cost Principles Retained
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General Tests of Allowability of Costs Retained
Necessary, reasonable,
allocable Conform to limitations
Conform with Federal law and
grant terms
Consistent with organizational
policies Consistently
treated Determined in
accordance with GAAP
Not charged elsewhere
Net of applicable
credits Adequately documented
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421 Advertising and public relations
423 Alcoholic beverages 424 Alumni(ae) activities 425 Audit services 426 Bad debts 429 Commencement and
convocation costs 445 Goods and services for
personal use
Cost Principles with Little or No Change
450 Lobbying 455 Organization costs 457 Plant and homeland
security costs 458 Pre-award costs 459 Professional service
costs 467 Selling and marketing
costs 469 Student activity costs
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427 Bonding costs 430 Compensation –
personal services 431 Compensation – fringe
benefits 433 Contingency provisions 434 Contributions and
donations 436 Depreciation 437 Employee morale,
health and welfare costs
Cost Principles with Changes
439 Equipment and other capital expenditures
441 Fines, penalties, damages and other settlements
447 Insurance and indemnification
449 Interest 453 Materials and supplies
costs, including costs of computing devices
454 Memberships, subscriptions, and professional activity costs
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460 Proposal costs 461 Publication and printing
costs 462 Rearrangement and
reconversion costs 463 Recruiting costs 464 Relocation of
employees 465 Rental costs of real
property and equipment
Cost Principles with Changes – Continued
468 Specialized service facilities
470 Taxes (including Value Added Taxes)
471 Termination costs 472 Training and education 474 Travel
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Time and distribution records must be maintained for all employees whose salaries are: Paid in whole or in part with federal funds (200.430(i)(1)) Used to meet a match/cost share requirement
(200.430(i)(4))
Compensation – Personal Services (200.430)
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New standards for documentation of personnel expenses 1. Charges for salaries must be based on records that
accurately reflect the work performed 2. Must be supported by a system of internal controls which
provides reasonable assurance the amounts charged are accurate, allowable and properly allocated
3. Be incorporated into official records 4. Reasonably reflect total activity for which employee is
compensated Not to exceed 100%
Compensation – Personnel Services (200.430) – Continued
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Use allowance no longer allowed
No depreciation on assets that are fully depreciated
Depreciation (200.436)
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Computing devices do not meet the threshold requirement so are considered supplies Tablets
Laptops
Smart phones
Equipment and Other Capital Expenditures (200.439)
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Allowable as an indirect cost
Thank you OMB! This was in college and university and government cost
circulars, but not NFP
Proposal Costs (200.460)
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Salaries of administrative and clerical staff are normally treated as indirect unless all of the following are met:
1. Such services are integral to the activity 2. Individuals can be specifically identified with the activity 3. Such costs are explicitly included in the budget or have prior
written approval 4. Costs not also recovered as indirect
Key Changes to Indirect Costs – Subpart E
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Mandating (or encouraging) indirect charging of certain allowable costs
Required recognition by federal agencies of federally negotiated rates
Introduction of de minimis 10% rate in lieu of negotiation
Procedures for recognition of subrecipient indirect costs
Authorization to continue use of a negotiated rate for up to four years
Key Changes to Indirect Costs – Subpart E – Continued
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On annual and final fiscal reports or vouchers requesting payment
By an official who is authorized to legally bind the entity
Subject to criminal, civil or administrative penalties for fraud, false statements or false claims
Required Certifications – Subpart E
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Mandatory disclosures An entity must disclose in writing in a timely manner to a federal
agency or pass-through: All violations of federal criminal law involving fraud, bribery or
gratuity violations potentially affecting the Federal award
Changes to Subpart B
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Written Procedures for Allowable Costs – Subpart D
New Rule Must have written procedures for determining the allowability of
costs in accordance with the new grant circular
Prior Rule Must follow applicable cost principle to determine
reasonableness, allowability and allocability of all costs
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Now five procurement methods 1. Micro-purchases Acquisition of supplies or services value not to
exceed $3,000 Awarded without soliciting competitive quotations if
price is considered reasonable 2. Small purchase procedures Subject to simplified acquisition threshold
($150,000) Price or rate quotations must be obtained from an
adequate number of qualified sources
Procurement – Subpart D
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Now five procurement methods - continued 3. Procurement by sealed bids Publicly solicited Preferred for procuring construction
4. Competitive proposals Used when conditions are not appropriate for
sealed bids 5. Noncompetitive proposals Sole source
Procurement – Subpart D – Continued
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All these documents can be found at http://www.whitehouse.gov/omb/grants_docs
Uniform Administrative Requirements, Cost Principles and Audit Requirements for Federal Awards - 2 CFR 200 http://www.ecfr.gov/cgi-bin/text-idx?SID=d6d9a62155484b2fb6176d7d01a640cc&node=2:1.1.2.2.1&rgn=div5
Links to Helpful Documents
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Uniform Guidance Cost Principles Text Comparisons http://www.whitehouse.gov/sites/default/files/omb/fedreg/2013/uniform-guidance-cost-principles-requirements-text-comparison.pdf
Uniform Guidance Audit Requirements Text Comparisons http://www.whitehouse.gov/sites/default/files/omb/fedreg/2013/uniform-guidance-audit-requirements-text-comparison.pdf
Links to Helpful Documents – Continued
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Uniform Guidance Administrative Requirements Text Comparisons http://www.whitehouse.gov/sites/default/files/omb/fedreg/2013/uniform_guidance_administrative_requirements_text_comparison.pdf
COFAR’s FAQ for New Uniform Guidance on 2 CFR 200 https://cfo.gov/wp-content/uploads/2013/01/2-C.F.R.-200-FAQs-2-12-2014.pdf
E-mail COFAR at cofar@omb.eop.gov
Links to Helpful Documents – Continued
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There is no substitute for a “deep dive.”
Read OMB’s commentary.
Watch for the deadlines.
If something is working and isn’t specifically prohibited or mentioned in the new cost principles then don’t stop. Personnel time and distribution records
What To Do Now
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Review policies and procedures to determine if any changes are needed
Monitor OMB and federal agency actions
Stay tuned for OMB’s plans for changes to the Compliance Supplement
Subscribe to our monthly e-newsletter
What To Do Now – Continued
THE NEW COSO FRAMEWORK
How will it impact your organization?
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COSO Framework – 20 Years in the Making
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Updated COSO Framework
What is not changing... What is changing...
• Core definition of internal control
• Three categories of objectives and five components of internal control
• Each of the five components of internal control are required for effective internal control
• Important role of judgment in designing, implementing and conducting internal control, and in assessing its effectiveness
• Changes in business and operating
environments considered
• Operations and reporting objectives expanded
• Fundamental concepts underlying five components articulated as principles
• Additional approaches and examples relevant to operations, compliance, and non-financial reporting objectives added
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NFPs are expected to establish and maintain effective internal controls over federal awards No current expectation or requirement to document or evaluate
internal controls in accordance with the COSO framework Primarily a source for best practices
However…
What Does This Mean for NFPs?
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Internal control objectives in A-133 built around COSO framework
No updates to Compliance Supplement for new COSO
There could be changes coming!
What Does This Mean for NFPs? – Continued
PROPOSED CHANGES TO THE NOT-FOR-PROFIT REPORTING
MODEL AND OTHER CONSIDERATIONS
What is to come
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FASB’s Proposed Changes to Not-for-Profit Reporting Model Impact/Recommendation
Defining and presenting a measure of operations in the Statement of Activities.
Organizations that do not already provide a measure of operations should evaluate which activities would be presented In the Statement of Activities as operating vs. non-operating.
Three net asset classes replaced with two classes: ― Those with donor restrictions and those
without; ― Removing the distinction between
temporary and permanent restrictions; ― Requiring a description of the differences in
the nature of the restrictions and how and when those resources could be used.
Organizations should begin to review footnote disclosures to determine that: ― Footnotes contain sufficient detail to enable
users to understand how and when donor-restricted net assets can be used;
― Restricted net assets not permanently restricted are highlighted;
― Footnotes explain that all net assets not restricted in perpetuity are expendable for mission-related activities into the future.
Proposed Changes to the Not-for-Profit Reporting Model
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FASB’s Proposed Changes to Not-for-Profit Reporting Model Impact/Recommendation
Direct method requirement for presentation of cash flows from operating activities in the Statement of Cash Flows.
Initial preparation of the direct method will require some additional effort in mapping cash information to the various operating activities.
Presentation of expenses by both functional and natural classifications within the financial statements along with an analysis of the relationship between natural and functional expenses.
Preparation of an analysis of functional and natural classifications will require additional effort since most not-for-profit entities still present expenses by function on the Statement of Activities.
Proposal on other communications, such as Management’s Discussion & Analysis (MD&A), removed from FASB’s agenda.
No further action needed.
Proposed Changes to the Not-for-Profit Reporting Model – Continued
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Feedback/concerns on intermediate measure of operations Interest expense Gifts of long-lived (capital) assets and related expirations of restricted
gifts
Discussion of NPF-specific note disclosures
Applicability of recent PCC proposals to NFPs Intangibles Goodwill
Other Considerations by the NAC
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Questions?
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Additional webinars: 10/7 & 10/22: Potential Changes in the Not-for-Profit
Reporting Model Recorded Webinar: Major Changes in Federal Reporting for
Nonprofits
Though leadership: MHM Messenger: Federal OMB Grant Rules Overhauled FASB Recommends Changes to Cash Flow Statements and
Statements of Functional Expenses Reporting Sign up for our Not-for-Profit Viewpoint e-newsletter
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