Abstract

The goal of this research was to investigate the reasons behind the plethora of amendments of the FASB Accounting Pronouncements for Financial Instruments from 2002 to 2008. Entities have communicated their apprehensions that the existent disclosure requirements in SFAS No. 133, “Accounting for Derivative Instruments and Hedging Activities”, do not furnish sufficient input about how derivative and hedging activities influence an entity’s financial position, financial performance, and cash flows. Correspondently, in 2008 the FASB issued Statement No. 161, “Disclosures about Derivative Instruments and Hedging Activities—an amendment of FASB Statement No. 133”. The purpose of the study was to investigate the extent to which the thirty companies that comprise the Dow Jones Industrial Average complied with the new qualitative and quantitative disclosure requirements for derivative financial instruments of SFAS No. 161. Following the theoretical framework of corporate risk management, the quarterly financial statements (10Qs) of the thirty companies that comprise the Dow Jones Industrial Average were examined to determine whether companies complied with the qualitative requirements of SFAS No.161 to disclose their objectives for holding or issuing derivative financial instruments and their risk management policy as well as a description of the items being hedged. A surprising finding was that most companies failed with the requirements of SFAS No. 161 to disclose the required information about cash flow hedges, net investments in foreign operations and, fair value hedges. These findings suggest that although the FASB issued SFAS No. 161 to enhance derivative disclosures to enable users of financial statements to evaluate the success and significance of derivative instruments and hedging transactions on an entity’s financial statements, companies might need additional time to implement the standard.

Highlights

  • The application and complication of derivative instruments and hedging activities have intensified substantially over the past several years

  • In agreement to my analysis of the quarterly financial statements of the Dow 30 as of September 30, 2008, I concluded that the majority of companies misappropriated the specifications of SFAS No 133 to disclose the required information about cash flow hedges, net investments in foreign operations and, fair value hedges

  • Under Statement 133 the effective portion of a cash flow hedge and a hedge of a net investment in a foreign operation should have deferred in OCI until the hedged transaction influenced income, and the pertinent derivative value should reclassified from OCI into earnings to edict the timing effect of the hedged item or hedged forecasted transaction

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Summary

Introduction

The application and complication of derivative instruments and hedging activities have intensified substantially over the past several years. The succeeding disclosure phases of the Board’s project contemplated additional disclosure requirement and “recognition and measurement issues” for derivative instruments and off-balance-sheet financing This Statement prolonged existing disclosure requirements for derivative instruments by compelling the following disclosure information about financial instruments with off-balance-sheet risk of accounting loss: (1) “the face, contract, or notional principal amount”, and (2) “the nature and terms of the instruments and a discussion of their credit and market risk, cash requirements, and related accounting policies”. This Statement required disclosure information about an entity’s policy for collateral or other security on derivative instruments since companies could not recognize an accounting loss caused by the failed execution of the terms of the contract of any party to the financial instrument. This Statement was effectual for financial statements released for fiscal years ending after June 15, 1990

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