International GAAP® 2019: Generally Accepted Accounting Practice under International Financial Reporting Standards

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  18.3 Market corroborated inputs

  Level 2 inputs, as discussed at 18.1 above, include market-corroborated inputs. That is,

  inputs that are not directly observable for the asset or liability, but, instead, are corroborated

  by observable market data through correlation or other statistical techniques.

  IFRS 13 does not provide any detailed guidance regarding to the application of statistical

  techniques, such as regression or correlation, when attempting to corroborate inputs to

  observable market data (Level 2) inputs. However, the lack of any specific guidance or

  ‘bright lines’ for evaluating the validity of a statistical inference by the IASB should not

  be construed to imply that the mere use of a statistical analysis (such as linear regression)

  would be deemed valid and appropriate to support Level 2 categorisation (or a fair value

  measurement for that matter). Any statistical analysis that is relied on for financial

  reporting purposes should be evaluated for its predictive validity. That is, the statistical

  technique should support the hypothesis that the observable input has predictive value

  with respect to the unobservable input.

  In Example 14.12 at 10.1.3 above, for the three-year option on exchange-traded shares,

  the implied volatility derived through extrapolation has been categorised as a Level 2

  input because the input was corroborated (through correlation) to an implied volatility

  based on an observable option price of a comparable entity. In this example, the

  determination of an appropriate proxy (i.e. a comparable entity) is a critical component

  in supporting that the implied volatility of the actual option being measured is a market-

  corroborated input.

  In practice, identifying an appropriate benchmark or proxy requires judgement that

  should appropriately incorporate both qualitative and quantitative factors. For example,

  when valuing equity-based instruments (e.g. equity options), an entity should consider

  the industry, nature of the business, size, leverage and other factors that would

  qualitatively support the expectation that the benchmarks are sufficiently comparable

  to the subject entity. Qualitative considerations may differ depending on the type of

  input being analysed or the type of instrument being measured (e.g. a foreign exchange

  option versus an equity option).

  In addition to the qualitative considerations discussed above, quantitative measures are

  used to validate a statistical analysis. For example, if a regression analysis is used as a

  means of corroborating non-observable market data, the results of the analysis can be

  assessed based on statistical measures.

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  18.4 Making adjustments to a Level 2 input

  The standard acknowledges that, unlike a Level 1 input, adjustments to Level 2 inputs

  may be more common, but will vary depending on the factors specific to the asset or

  liability. [IFRS 13.83].

  There are a number of reasons why an entity may need to make adjustments to Level 2

  inputs. Adjustments to observable data from inactive markets (see 8 above), for

  example, might be required for timing differences between the transaction date and the

  measurement date, or differences between the asset being measured and a similar asset

  that was the subject of the transaction. In addition, factors such as the condition or

  location of an asset should also be considered when determining if adjustments to

  Level 2 inputs are warranted.

  If the Level 2 input relates to an asset or liability that is similar, but not identical to the

  asset or liability being measured, the entity would need to consider what adjustments

  may be required to capture differences between the item being measured and the

  reference asset or liability. For example, do they have different characteristics, such as

  credit quality of the issuer in the case of a bond? Adjustments may be needed for

  differences between the two. [IFRS 13.83].

  If an adjustment to a Level 2 input is significant to the entire fair value measurement, it

  may affect the fair value measurement’s categorisation within the fair value hierarchy

  for disclosure purposes. If the adjustment uses significant unobservable inputs, it would

  need to be categorised within Level 3 of the hierarchy. [IFRS 13.84].

  18.5 Recently observed prices in an inactive market

  Valuation technique(s) used to measure fair value must maximise the use of relevant

  observable inputs and minimise the use of unobservable inputs. While recently observed

  transactions for the same (or similar) items often provide useful information for measuring

  fair value, transactions or quoted prices in inactive markets are not necessarily indicative

  of fair value. A significant decrease in the volume or level of activity for the asset or

  liability may increase the chances of this. However, transaction data should not be

  ignored, unless the transaction is determined to be disorderly (see 8 above).

  The relevance of observable data, including last transaction prices, must be considered

  when assessing the weight this information should be given when estimating fair value

  and whether adjustments are needed (as discussed at 18.4 above). Adjustments to

  observed transaction prices may be warranted in some situations, particularly when the

  observed transaction is for a similar, but not identical, instrument. Therefore, it is

  important to understand the characteristics of the item being measured compared with

  an item being used as a benchmark.

  When few, if any, transactions can be observed for an asset or liability, an index may

  provide relevant pricing information if the underlying risks of the index are similar to

  the item being measured. While the index price may provide general information about

  market participant assumptions regarding certain risk features of the asset or liability,

  adjustments are often required to account for specific characteristics of the instrument

  being measured or the market in which the instrument would trade (e.g. liquidity

  considerations). While this information may not be determinative for the particular

  Fair value measurement 1063

  instrument being measured, it can serve to either support or contest an entity’s

  determination regarding the relevance of observable data in markets that are not active.

  IFRS 13 does not prescribe a methodology for applying adjustments to observable

  transactions or quoted prices when estimating fair value. Judgement is needed when

  evaluating the relevance of observable market data and determining what (if any)

  adjustments should be made to this information. However, the application of this

  judgement must be within the confines of the stated objective of a fair value measurement

  within the IFRS 13 framework. Since fair value is intended to represent the exit price in a

  transaction between market participants in the current market, an entity’s intent to hold

  the asset due to current market conditions, or any entity-specific needs, is not relevant to

  a fair value measurement and is not a valid reason to adjust observable market data.

  19 LEVEL

  3

  INPUTS

  All unobservable inputs for an asset or liability are Level 3 inputs. The standard requires an

  entity to minimise the use of Level 3 inputs when measuring fair va
lue. As such, they should

  only be used to the extent that relevant observable inputs are not available, for example,

  in situations where there is limited market activity for an asset or liability. [IFRS 13.86, 87].

  19.1 Use of Level 3 inputs

  A number of IFRSs permit or require the use of fair value measurements regardless of

  the level of market activity for the asset or liability as at the measurement date (e.g. the

  initial measurement of intangible assets acquired in a business combination). As such,

  IFRS 13 allows for the use of unobservable inputs to measure fair value in situations

  where observable inputs are not available. In these cases, the IASB recognises that the

  best information available with which to develop unobservable inputs may be an entity’s

  own data. However, IFRS 13 is clear that while an entity may begin with its own data,

  this data should be adjusted if:

  • reasonably available information indicates that other market participants would

  use different data; or

  • there is something particular to the entity that is not available to other market

  participants (e.g. an entity-specific synergy). [IFRS 13.89].

  For example, when measuring the fair value of an investment property, we would

  expect that a reporting entity with a unique tax position would consider the typical

  market participant tax rate in its analysis. While this example is simplistic and is meant

  only to illustrate a concept, in practice significant judgement will be required when

  evaluating what information about unobservable inputs or market data may be

  reasonably available.

  It is important to note that an entity is not required to undertake exhaustive efforts to

  obtain information about market participant assumptions when pricing an asset or

  liability. Nor is an entity required to establish the absence of contrary data. As a result,

  in those situations where information about market participant assumptions does not

  exist or is not reasonably available, a fair value measurement may be based primarily on

  the reporting entity’s own data. [IFRS 13.89].

  1064 Chapter 14

  Even in situations where an entity’s own data is used, the objective of the fair value

  measurement remains the same – i.e. an exit price from the perspective of a market

  participant that holds the asset or owes the liability. As such, unobservable inputs should

  reflect the assumptions that market participants would use, which includes the risk

  inherent in a particular valuation technique (such as a pricing model) and the risk

  inherent in the inputs. As discussed at 7.2 above, if a market participant would consider

  those risks in pricing an asset or liability, an entity must include that risk adjustment;

  otherwise the result would not be a fair value measurement. When categorising the

  entire fair value measurement within the fair value hierarchy, an entity would need to

  consider the significance of the model adjustment as well as the observability of the data

  supporting the adjustment. [IFRS 13.87, 88].

  19.2 Examples of Level 3 inputs

  IFRS 13’s application guidance provides a number of examples of Level 3 inputs for

  specific assets or liabilities, as outlined in Figure 14.10 below. [IFRS 13.B36].

  Figure 14.10:

  Examples of Level 3 inputs

  Asset or Liability

  Example of a Level 3 Input

  Long-dated currency

  An interest rate in a specified currency that is not observable and cannot be

  swap

  corroborated by observable market data at commonly quoted intervals or

  otherwise for substantially the full term of the currency swap. The interest

  rates in a currency swap are the swap rates calculated from the respective

  countries’ yield curves.

  Three-year option on

  Historical volatility, i.e. the volatility for the shares derived from the

  exchange-traded shares

  shares’ historical prices. Historical volatility typically does not represent

  current market participants’ expectations about future volatility, even if it

  is the only information available to price an option.

  Interest rate swap

  An adjustment to a mid-market consensus (non-binding) price for the swap

  developed using data that are not directly observable and cannot otherwise

  be corroborated by observable market data.

  Decommissioning

  A current estimate using the entity’s own data about the future cash

  liability assumed in a

  outflows to be paid to fulfil the obligation (including market participants’

  business combination

  expectations about the costs of fulfilling the obligation and the

  compensation that a market participant would require for taking on the

  obligation to dismantle the asset) if there is no reasonably available

  information that indicates that market participants would use different

  assumptions. That Level 3 input would be used in a present value

  technique together with other inputs, e.g. a current risk-free interest rate or

  a credit-adjusted risk-free rate if the effect of the entity’s credit standing on

  the fair value of the liability is reflected in the discount rate rather than in

  the estimate of future cash outflows.

  Cash-generating unit

  A financial forecast (e.g. of cash flows or profit or loss) developed using

  the entity’s own data if there is no reasonably available information that

  indicates that market participants would use different assumptions.

  Fair value measurement 1065

  20 DISCLOSURES

  The disclosure requirements in IFRS 13 apply to fair value measurements recognised in

  the statement of financial position, after initial recognition, and disclosures of fair value

  (i.e. those items that are not measured at fair value in the statement of financial position,

  but whose fair value is required to be disclosed). However, as discussed at 2.2.4 above,

  IFRS 13 provides a scope exception in relation to disclosures for:

  • plan assets measured at fair value in accordance with IAS 19;

  • retirement benefit plan investments measured at fair value in accordance with

  IAS 26; and

  • assets for which recoverable amount is fair value less costs of disposal in

  accordance with IAS 36.

  In addition to these scope exceptions, the IASB decided not to require the IFRS 13

  disclosures for items that are recognised at fair value only at initial recognition.

  Disclosure requirements in relation to fair value measurements at initial recognition are

  covered by the standard that is applicable to that asset or liability. For example, IFRS 3

  requires disclosure of the fair value measurement of assets acquired and liabilities

  assumed in a business combination. [IFRS 13.BC184].

  However, it should be noted that, unlike IAS 19, IAS 26 and IAS 36, there is no scope

  exemption for IFRS 3 or other standards that require fair value measurements (or

  measures based on fair value) at initial recognition. Therefore, if those standards require

  fair value measurements (or measures based on fair value) after initial recognition,

  IFRS 13’s disclosure requirements would apply.

  From the IASB discussions of respondents input on the PIR, the IASB has decided to

  feed the PIR findin
gs regarding the usefulness of disclosures into the work on Better

  Communications in Financial Reporting, in particular, the projects on Principles of

  Disclosure and Primary Financial Statements (See 1.1 above).24

  20.1 Disclosure

  objectives

  IFRS 13 requires a number of disclosures designed to provide users of financial

  statements with additional transparency regarding:

  • the extent to which fair value is used to measure assets and liabilities;

  • the valuation techniques, inputs and assumptions used in measuring fair value; and

  • the effect of Level 3 fair value measurements on profit or loss (or other

  comprehensive income).

  The standard establishes a set of broad disclosure objectives and provides the minimum

  disclosures an entity must make (see 20.2 to 20.5 below for discussion regarding the

  minimum disclosure requirements in IFRS 13).

  1066 Chapter 14

  The objectives of IFRS 13’s disclosure requirements are to:

  (a) enable users of financial statements to understand the valuation techniques and

  inputs used to develop fair value measurements; and

  (b) help users to understand the effect of fair value measurements on profit or loss and

  other comprehensive income for the period when fair value is based on

  unobservable inputs (Level 3 inputs). [IFRS 13.91].

  After providing the minimum disclosures required by IFRS 13 and other standards, such

  as IAS 1 – Presentation of Financial Statements – or IAS 34 – Interim Financial

  Reporting, an entity must assess whether its disclosures are sufficient to meet the

  disclosure objectives in IFRS 13. If not, additional information must be disclosed in

  order to meet those objectives. [IFRS 13.92]. This assessment requires judgement and will

  depend on the specific facts and circumstances of the entity and the needs of the users

  of its financial statements.

  An entity must consider all the following:

  • the level of detail needed to satisfy the disclosure requirements;

  • how much emphasis to place on each of the various requirements;

 

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