On June 10, 2020, the AICPA issued accounting guidance for Paycheck Protection Program (PPP) loans. The guidance in Technical Question and Answer (TQA) 3200.18, Borrower Accounting for a Forgivable Loan Received Under the Small Business Administration Paycheck Protection Program includes multiple accounting options, which vary by entity type. Under the guidance, nongovernmental entities other than not-for-profit (NFP) entities may account for PPP loans in accordance with FASB ASC 470, Debt, or, if the entities expect to meet the PPP’s eligibility criteria and conclude that the PPP loans represent, in substance, grants that are expected to be forgiven, they may, by way of analogy, account for the loans under International Accounting Standard (IAS) 20, Accounting for Government Grants and Disclosure of Government Assistance. The SEC Staff has indicated that they would not object to SEC registrants utilizing either of these accounting models to account for PPP loans, provided certain conditions are met. The TQA further indicates that if nongovernmental entities other than NFPs expect to meet the PPP’s eligibility criteria and conclude that the PPP loans represent, in substance, grants that are expected to be forgiven, they could also analogize to: (1) FASB ASC 958-605 (i.e. account for the loans as conditional contributions) or (2) FASB ASC 450-30, Gain Contingencies. Under the TQA’s guidance, NFP entities may account for PPP loans in accordance with FASB ASC 470, Debt, or, if the NFP entities expect to meet the PPP’s eligibility criteria and conclude that the PPP loans represent, in substance, grants that are expected to be forgiven, they may account for them in accordance with FASB ASC 958-605. If material, all nongovernmental entities should disclose their PPP loan accounting policies and the related financial statement impacts.
The accounting for PPP loans under the various models discussed above are summarized below.
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