This is the first in a series of articles in which we will explore the revenue recognition standard requirements and the impact on higher education institutions, including the types of contracts with customers that your institution may have, and highlight some of the decisions that you will need to make as you evaluate your contracts under the revenue recognition standard.
The Accounting Standards Update (ASU) No. 2014-09, Revenue from Contracts with Customers (Topic 606), was issued by the Financial Accounting Standards Board (FASB). The standard’s effective date is for public entities’ annual reporting periods beginning after December 15, 2017. A public entity is, according to FASB, an entity that, “is any one of the following: (1) a public business entity, (2) a not-for-profit entity that has issued, or is a conduit bond obligor for, securities that are traded, listed, or quoted on an exchange or an over-the-counter market, (3) an employee benefit plan that files or furnishes financial statements to the SEC.” If your organization is a not-for-profit institution with conduit debt, then your institution is considered a public entity and the standard is effective for your fiscal year beginning July 1, 2018. For non-public entities the standard is effective beginning July 1, 2019.
The core principle of the new standard under the Account Standards Codification (ASC) topic 606, paragraph 10-05-3, is that revenue recognition should “depict the transfer of promised goods or services to customers in an amount that reflects the consideration to which the entity expects to be entitled in exchange for those goods or services.”
In addition, another proposed ASU, Clarifying the Scope and the Accounting Guidance for Contributions Received and Contributions Made, is being issued to improve and clarify existing guidance on revenue recognition of grants and contracts by not-for-profit organizations. This proposed ASU is expected to be effective at the same time as ASU No. 2014-09.
As institutions navigate implementation of these standards, many institutions struggle to answer the following questions as they progress:
The American Institute of Certified Public Accountants (AICPA) revenue recognition taskforce for not-for-profit entities addressed implementation issues relating to tuition and housing revenue for not-for-profit higher education institutions. The AICPA Financial Reporting Executive Committee (FinREC) reviewed the taskforce’s implementation issues and the guidance was finalized and included in the AICPA revenue recognition guide. The following summarizes the issues that were identified by the taskforce.
Now is the time for action and to take steps to ensure that you can answer the above questions and effectively implement the standards. First, we will explore tuition and housing revenue using the five-step process.
An inventory of all of your contracts is a great place to start. There are five criteria that need to be met in order for a contract to exist.
Institutions will need to determine if tuition and housing are distinct services promised by the institution or whether they should be combined.
Institutions will need to consider FASB’s guidance in ASC topic 606, paragraphs 10-32-2 through 10-32-27 when determining the amount to be measured for both tuition and housing revenue.
If tuition and housing are included in a single or combined contract, institutions will need to consider the FASB’s guidance under ASC topic 606, paragraphs 10-32-28 through 10-32-36 with respect to allocating the transaction price to the performance obligations in the contract. When determining the transaction price, institutions should also consider whether any discounts or financial aid awarded to a student should be applied to tuition, housing or both. Consider documenting your policy (if you have not already done so) on how your transaction price was allocated.
Under ASC topic 606, paragraph 10-25-23, an entity shall recognize revenue when (or as) the entity satisfies a performance obligation by transferring a promised good or service to a customer. For each performance obligation, the institution must determine if it has been satisfied either over time or at a point in time. FinREC believes that, generally, students simultaneously receive and consume all of the benefits provided by the institution’s performance because the institution provides instruction or housing to students throughout the academic period, and it would be appropriate for institutions to recognize tuition and housing revenues over time in these circumstances.
Because ASC topic 606 prescribes that revenue is based on the transaction price (net of any reductions or consideration payable to the customer), presenting the gross amount as revenue on the Statement of Activities is not allowed. However, per FinREC, it is acceptable to disclose the financial aid or scholarships parenthetically on the face of the Statement of Activities or in the notes to the financial statements.
As you begin answering these questions and considering your options, evaluate the time and resources available to dedicate to this effort. Many institutions have required help in assessing and documenting these decisions. The documentation will be valuable when you are ready to craft the required disclosures that are detailed in ASC topic 606, paragraph 10-50. With the standard effective date less than a year away, it’s time to dig in and begin your analysis today.
For more information on this topic, or to learn how Baker Tilly specialists can help, contact our team.
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