Presented by Frank Crawford, CPA President, Crawford & Associates, P.C. (twitter) 1.

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Presentation transcript:

Presented by Frank Crawford, CPA President, Crawford & Associates, P.C. (twitter) 1

 GASB Statement 68 – Accounting and Financial Reporting for Pensions (the employers participating in such plans)  GASB Statement 71 - Pension Transition for Contributions Made Subsequent to the Measurement Date 2

 Single-employer plans—involve only one government reporting entity (could contain several separate legal entities though) ◦ Some MS governments have such plans  Multiple-employer plans—include more than one government ◦ Agent multiple-employer plans—separate accounts are maintained to ensure that each employer’s contributions are used to provide benefits only for the employees of that government  Individual employers are responsible for benefits associated with their own employees only, and separate actuarial calculations are made for each participating government in the plan.  Collection of single-employer plans  Costs of administering the plan is shared by participating governments and the plan assets are pooled for investment purposes ◦ Indicative of the type of plan that many MS government employees were hired under before those plans closed their admission (the more veteran employees) 3

 Multiple-employer plans—include more than one employer (more than one reporting entity) ◦ Cost-sharing multiple-employer plans— governments pool (share) the costs of providing benefits and administering the plan and the assets accumulated to pay benefits  A single actuarial valuation is conducted for all of the employees of the participating governments combined ◦ Indicative of most current MS governmental employees hired after the agent plans closed admission (the less-veteran, more youthful(?) employees) 4

 Defined Benefit and defined contribution pensions provided through pension plans that are administered through trusts, or equivalent arrangements, in which: ◦ Employer contributions to the plan, including contributions made on behalf of employers by a noncontributing entity, and earnings on those contributions are irrevocable. ◦ Plan assets are dedicated to providing pensions to plan members in accordance with the benefit terms. ◦ Plan assets are legally protected from creditors of the employers, nonemployer contributing entities, plan administrators, and, for defined benefit plans, the creditors of the plan members. 5

 Employment-exchange transactions create an obligation of employer to employees to provide pension benefits in retirement ◦ Annual exchanges, viewed by Board within context of a career-long employment relationship  Accounting-based versus funding-based proposals (currently we compare the ARC with the actual payment made) 6

 The net pension liability of an employer meets the Concepts Statement 4 definition of a liability of the employer: ◦ A present obligation—created by past exchanges ◦ Requires sacrifice of employer’s resources ◦ Little or no discretion to avoid the sacrifice of resources—generally a legally enforceable liability, but if not, in most cases, is a constructive liability (actions or conduct from exchange transactions) 7

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 Total pension liability ◦ Actuary is going to calculate—overall obligation for pensions  Net pension liability ◦ Total pension liability reduced by the net position held in trust (right off the audited financial statements of the plan itself) 9

) Project Benefits 2) Discount Present Value 3) Attribution Past service-AAL Future Service * *=Current – normal cost Portion related to past service = Total pension liability

 The projection of pension benefit payments should include the effects of projected future salary increases and future service credits, if part of the benefits formula, as well as automatic COLAs  Ad hoc COLAs would be incorporated into projections of pension benefit payments only if an employer’s practice indicates that the COLAs are substantively automatic (past practice and future expectations)—this is new!!  For some employers, projected benefit payments would be greater, present value of future benefits would be greater, and the net pension liability would be greater  More accurate reflection of the total obligation 11

 Projected benefit payments must be discounted to their present value, which requires the selection of a discount rate. (for payments received in the future, a lower discount rate (rate of return) would require you to invest a larger amount today) 12

 Under the new Standards, the discount rate should be a single rate that reflects: ◦ The long-term expected rate of return on plan investments that are expected to be used to finance the payment of benefits to the extent that  Plan net position is projected to be sufficient to make projected benefit payments, and  Assets are expected to be invested using a strategy to achieve that return ◦ A high-quality 20-year municipal bond index rate or yield on tax-exempt general obligation bonds (AA rated or higher or an equivalent rating) beyond the point at which plan net assets available for pension benefits are projected to no longer be available for long-term investment  Better reflection of the level of additional resources that are expected to be sacrificed by the employers to meet the promised benefit payments 13

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 Attribution of the present value of projected benefit payments to periods (for accounting purposes and not funding purposes) – ◦ Single allocation method: Based on entry age normal principles ◦ Attribution method: Level percentage of payroll—calculates payments so that they equal a constant percentage of projected payroll over time ◦ Attribution period: over periods beginning in the first period in which the employee’s services lead to benefits under the plan (without regard to conditional service-related provisions such as vesting) and ending in the last period of the employee’s service 15

 Under this new method: ◦ projected benefits are discounted to their present value when employees first began to earn benefits and attributed to employees’ expected periods of employment until they leave the government ◦ Better reflect the ongoing annual exchange of service for benefits over the course of an employee’s period of employment in amounts that keep pace with he employees projected salary over that period 16

 Recognize a net pension liability that is measured as of a date (the measurement date) no earlier than the end of its prior fiscal year, consistently applied from period to period ◦ I am assuming that most, if not all employers will be choosing June 30, 2014 as their measurement date ◦ Total pension liability component of the net pension liability at the measurement date is determined either by ◦ An actuarial valuation as of that date or ◦ The use of update procedures to roll forward amounts to the measurement date from an actuarial valuation as of a date no more than 30 months (plus 1 day) prior to the fiscal year-end  For financial reporting purposes, actuarial valuations at least biennially ◦ More frequent valuations are encouraged 17

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19  In calculating the employer’s net pension liability, plan net position should be measured in the same way as measured in the plan’s statement of net position, including measurement of investments at fair value  Different from the previous used funding-based method which measured based on the actuarial value of plan net position with smoothing of the assets  Measurement date of PNP would be the same as the measurement date for the total pension liability

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 Expense recognition would be immediate for: ◦ Pension benefits earned during the reporting period (service cost or normal cost) ◦ Interest cost on the total pension liability ◦ Changes in benefit terms that affect the total pension liability ◦ Long-term expected rate of return on pension plan investments 21

 Expense would be deferred and recognized over a period equal to the average remaining service periods of active and inactive (including retirees) employees for: ◦ Differences between expected and actual changes in economic and demographic factors ◦ Changes in assumptions about economic and demographic factors  Differences between actual and projected earnings on plan investments would be deferred and recognized as pension expense over a five-year closed period. 22

 Changes in the employer’s net pension liability are likely to be recognized in pension expense more quickly. 23

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 Net pension liabilities are normally expected to be liquidated with expendable available resources to the extent that pension benefits have matured – that is, pension benefit payments are due and plan net position is not sufficient for payments of benefits.  Liabilities to defined benefit pension plans, as well as liabilities for defined contribution pensions, are normally expected to be liquidated with expendable available resources when amounts due are pursuant to contractual arrangements or legal requirements 25

26  For MS, let’s use an example featuring a local government in the MS PERS plan

 A government participating in a cost-sharing pension plan would report: ◦ A net pension liability based on its proportion of the collective net pension liability of all of the governments participating ◦ The proportion should be consistent with the method used to assess contributions (Percentage of payroll).  The use of the government’s long-term expected contribution effort to the plan divided by those of all government in the plan, is encouraged 27

 The Board adopted the same approach to measurement of the collective unfunded liability, deferred outflows, deferred inflows, and pension expense for cost-sharing employers as it tentatively has done for sole and agent employers. 28

 10 year schedules of beginning and ending balances – similar to Single or Agent employers except: ◦ Only reporting their proportionate share ◦ Schedule of actuarially determined annual pension contributions (but will be required if statutory or contractual) 29

 When an entity other than the employer government (usually another government) is legally responsible for contributing to the plan – contribution can not be paid to the employer.  And either: ◦ the amount of the contributions is not dependent upon one or more events unrelated to the pension plan (EX: requirement to contribute a certain percentage of the employer government’s covered payroll) OR ◦ The contributing entity is the ONLY entity with a legal obligation to contribute  EX: state government that is legally bound to make contributions to the teacher pension plans of school districts 30

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 Assumptions in respect of: ◦ Salary ◦ Inflation ◦ Postemployment benefit increases ◦ Discount rate  Different rates, if contemplated for different periods  Date(s) of experience studies and tables on which significant assumptions are based 32

 Expected rate of return on plan investments  Description of how the expected rate of return on plan investments was determined, including ◦ Assumed asset allocation of the portfolio ◦ Best estimate of the long-term expected real rate of return for each major asset class 33

 The effects on the current-period net pension liability of a 1-percentage-point increase and a 1-percentage-point decrease in the discount rate 34

 Changes in the net pension liability  Net pension liability ◦ Total pension liability, plan net position, net pension liability, and  Plan net position as a percentage of the total pension liability  Net pension liability as a percentage of covered- employee payroll  Actuarially calculated employer contributions needed, actual contributions made, the difference between them, and contributions made as a percentage of covered-employee payroll 35

 Carry forward of existing requirements.  Governments would report an expense equal to the amount they are required to contribute for employee service each year and a liability equal to the difference, if any, between the required contribution and what the government actually contributes.  Descriptive disclosures about the plan and its terms, and the method by which contributions to the plan are determined. 36

 Pension Transition for Contributions Made Subsequent to the Measurement Date 37

 Statement 68 allows reporting of pension-related deferrals at transition only if all amounts can be determined  At the same time, Statement 68 requires that contributions made to a pension plan subsequent to the measurement of the pension liability be reported initially as deferred outflows of resources and then recognized as pension expense in the following period  So, what do you do about contributions made after the measurement of the initial beginning net pension liability for the period of implementation of Statement 68, but before the start of that period? 38

 Amends transition provisions of Statement 68 ◦ In all circumstances in which a contribution has been made between the measurement date of the beginning net pension liability and the beginning of the initial period of implementation of Statement 68, recognize the amount of the contribution as a beginning deferred outflow of resources ◦ Eliminates potential understatement of restated beginning net position and expense in the first year of implementation ◦ Other deferred outflows of resources/inflows of resources reported only if it is practical to determine all such amounts  Effective simultaneously with Statement 68 39

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 Considered “Other Auditing Publication” in AU-C Section 200  No authoritative status, however they may help the auditor in understand and apply certain auditing standards  Let’s look at the white papers 41

 Let’s see if I have made it as easy as I think I have ◦ Let’s look at the spreadsheet I've developed to assist those of you that are employers in the large PERS cost-sharing plan  The first tab of the spreadsheet is a reconciliation of the plan as a whole, and only done to see if I could get the plan's information, mostly found in the June 30, 2014 CAFR, to balance (which, by the way, did balance)  The second tab should simply allow you to pick your allocation %, plug it in, and watch the spreadsheet perform your calculation and journal entry for you 42

 The total contributions made to the PERS by employers AFTER June 30, 2015 (in other words, contributions for FY 2015)  The original amount and original expenditure/expense department that you recorded your FY 2015 contributions to the plan  The method of how and where you wish to allocate the newly calculated pension expense (which fund or funds do you want to allocate to, which departments/functions to allocate to, etc..) 43

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