CECL its Background and Objectives (2024)

CECL: Its Background and Objectives

Larry D. Sherrer, Senior Examiner and Accounting Risk Chair, Federal Reserve Bank of St. Louis

DISCLAIMER: This article is intended to discuss the CECL standard relative to its application to banks, particularly state chartered banks that are members of the Eighth Federal Reserve District. It is intended solely as a reference and resource for those banks. The article does not represent official supervisory policy.

CECL its Background and Objectives (1)Given the long phase-in period for the transition to the current expected credit loss (CECL), the intent and objectives of the new standard may not be as apparent as they once were when the standard was first released in June 2016.

Since that time, the industry has enjoyed a sustained period of relatively strong asset quality.That experience has been quite different than the financial crisis of 2008-2010 that brought so much focus on the accounting rules for credit impairment.

The Financial Crisis

Criticism of the current accounting models for recognizing and measuring credit impairment extends back several decades but was underscored during the financial crisis.

Specifically, the “incurred loss” rule for loans was shown to be overly dependent on historical loss data. In addition, the requirement of a ‘probability threshold’ for loss recognition as well as the lack of clear forward-looking guidance had the effect of delaying the impact of loss provisions on earnings until well after a credit bubble and shock had occurred.1

This has been described as “too little, too late.”2Prior to 2008, lenders enjoyed robust loan growth and a period of low losses. As such, lenders were justified in maintaining those valuation allowances at low and declining levels relative to loan volume -- even though loans were not aged, typically illiquid, and sometimes loosely underwritten.

In the aftermath of the crisis, both preparers and users of financial statements were critical of today’s “incurred loss” model’s failure to provide reliable information about an organization’s credit losses. This was true both for the period leading up to, and during the crisis. After extensive outreach, the Financial Accounting Standards Board (FASB) wrote and issued CECL to address the deficiencies that were identified in existing accounting guidance.

Further illustration of the history can be helpful in understanding the need for the new accounting standard. As the financial crisis unfolded, the incurred loss rule performed so poorly that investors and analysts began discounting balance sheets despite the fact they had been prepared according to Generally Accepted Accounting Principles. In short, the allowance for loan losses was viewed as a reactive measurement.

Looking Ahead

CECL will not prevent a financial crisis. Rather, its aim is to address deficiencies in the reporting of financial information that is critical during times of economic stress. As the process of developing and issuing this new guidance has unfolded, both FASB and the banking agencies have reached out and responded to concerns voiced by stakeholders about challenges to transition to the new rule. CECL also streamlines today’s credit impairment rules, which extend across many standards, down to a single standard that covers the vast majority of credit transactions. Securities held at amortized cost, as well as loans, are within the scope of the standard. Actions taken by rulemakers to support an effective implementation, include:

  • Simplification:The initial Exposure Draft to update the incurred loss model was first published in 2010 and was criticized for its complexity. The revised draft was a flexible, “principles-based” rule that we have today with CECL. The core guidance in the standard is only 22 pages.
  • Scalability:Organizations can employ and leverage existing methods with which they are familiar and comfortable, provided they are built-out to sufficiently support the requirements of CECL (for example, a ‘life-time’ loss factor as opposed to an average annual loss factor. Methodologies need only be appropriate to the size and complexity of the organization. Moreover, complex modeling is not required to comply with CECL. Only adequate analysis and understanding of the data that supports the loss estimate is required for successful implementation.
  • Capital relief:On March 31, 2020, regulators released SR Letter 20-9, which clarifies the interaction between the CECL Interim Final Rule “IFR” issued on March 27, 2020 and the CARES Act that was signed into law on March 27, 2020. The CECL IFR revises the capital transition relief option to occurs over five years and permits banking organizations to offset the impact of adopting CECL on regulatory capital ratios for the first two years.3For more information, see theRegulatory Capital Phase-in for CECL section of this website.
  • Regulatory support:Regulators have provided implement support through webinars and outreach activities.
  • Ongoing communications:FASB has provided staff Q&As that address technical topics such as the appropriateness of applying the Weighted Average Remaining Maturity method and developing reasonable and supportable forecasts. FASB continues to meet on a periodic basis to address technical agenda items and enhancements to the standard.
  • Multi-year transition period: Generally, the transition period enables smaller and less complex institutions to be the last in line to adopt the transition and therefore benefit from additional time as well as learn from the organizations that adopt CECL earlier.

For more information, see FASB's full series of "Accounting Standards Update (ASU) No. 2-16-13, Topic 326, Financial Instruments – Credit Losses."


1FASB in Focus, June 16, 2016 at https://www.fasb.org/home

2Frequently Asked Questions on the New Accounting Standard on Financial Instruments – Credit Losses at https://www.federalreserve.gov/supervisionreg/srletters/sr1908.htm

CECL its Background and Objectives (2024)

FAQs

What are the objectives of the CECL? ›

One of the main objectives of CECL was to provide stakeholders with more decision-useful information about the expected credit losses of financial assets using a single measurement model.

What are the CECL requirements? ›

CECL requires institutions to measure expected credit losses on financial assets carried at amortized cost on a collective or pool basis when similar risk characteristics exist.

What are the challenges faced in the implementation of CECL? ›

2.1 Modeling and methodology challenges

CECL requires banks to develop a methodology to estimate credit losses, but the FASB has not specified any model or approach to CECL. While this provides flexibility to banks, choosing the methodology will be a challenge.

What is the executive summary of the CECL? ›

Executive Summary

CECL requires financial institutions and other covered entities to recognize lifetime expected credit losses for a wide range of financial assets based not only on past events and current conditions, but also on reasonable and supportable forecasts.

What does CECL mean for banks? ›

Current Expected Credit Losses (CECL) Methodology.

What are the four objectives of federal financial reporting? ›

According to FASAB's “Authoritative Source of Guidance”4 on generally accepted accounting principles (GAAP), there are four objectives of federal financial reporting: budgetary integrity, operating performance, stewardship, and systems and control.

Is CECL part of GAAP? ›

The basics of CECL accounting

The ASU adds to US GAAP an impairment model known as the current expected credit loss (CECL) model, which is based on expected losses rather than incurred losses.

What is the CECL approach? ›

The CECL model requires the immediate recognition of estimated expected credit losses over the life of the financial instrument. The estimate of expected credit losses considers not only historical information, but also current and future economic conditions and events.

What is CECL replacing? ›

It replaces the prior standards addressing the accounting for credit losses– commonly known as FAS-5 and FAS-114. FASB's CECL standards apply to any institution issuing credit, including banks, savings institutions, credit unions and holding companies filing under GAAP accounting standards.

What are the key assumptions of CECL? ›

Key assumptions of the CECL model may include, but are not limited to the following:
  • Prepayment speeds.
  • Loss rates.
  • Recovery periods.
  • Qualitative factor adjustments.

Who is impacted by CECL? ›

While banks and other traditional financial institutions will be most affected by the FASB's new credit impairment model for financial assets based on current expected credit loss (“CECL”), all entities with balances due (e.g., trade receivables) or that have an off-balance-sheet credit exposure (e.g., financial ...

What assets are in scope for CECL? ›

As a methodology, CECL applies to all financial instruments carried at amortized cost, including loans held-for-investment, net investment in leases, and held-to- maturity (HTM) debt securities.

Who must comply with CECL? ›

CECL has significant implications for the banking industry. But it's a misconception that CECL only affects lenders and banks. Here's the reality: After January 2023, CECL compliance is a requirement for every business that holds financial assets recorded at amortized cost, with certain exceptions.

What is a qualitative scorecard for the CECL? ›

A qualitative adjustment scorecard can simplify the quarterly process of developing and documenting Q factors, especially if the scorecard can be interconnected with the financial institution's CECL model. “To assess a Q factor, you have to know what's in the quantitative model and the limitations of it,” said Moore.

When did CECL become effective? ›

Therefore, CECL will become effective for federal credit unions on January 1, 2023. Federally Insured State Chartered Credit Unions (FISCUs) may have a non-calendar fiscal year.

What are the objectives of credit risk analysis? ›

Purpose of Credit Risk Analysis

Credit risk analysis aims to take on an acceptable level of risk to advance the lenders' goals. Goals can include profitability, business growth, and qualitative factors.

What are the objectives of the Financial Transaction Reports Act? ›

The Financial Transaction Reports Act 1988 (the Act) operates alongside the Anti-Money Laundering and Counter-Terrorism Financing Act 2006 (AML/CTF Act). The Act commenced in 1988 to assist in administering and enforcing taxation laws as well as other Commonwealth, state and territory legislation.

What is the CECL model applicable for? ›

The CECL model applies to most financial assets not recorded at fair value. Although it will have a greater impact on the banking industry, most nonbanks have assets subject to the CECL model (e.g., trade receivables, contract assets, lease receivables and held-to-maturity securities).

What are the objectives of the CFPB? ›

Rooting out unfair, deceptive, or abusive acts or practices by writing rules, supervising companies, and enforcing the law. Enforcing laws that outlaw discrimination in consumer finance. Taking consumer complaints. Enhancing financial education.

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