February 25, 2009
VIA Electronic Mail (director@fasb.org)
Technical Director
Financial Accounting Standards Board
401 Merritt7, P.O. Box 5116
Norwalk.CT 06856-5116
File Reference; Proposed FSP FAS 107-b and APB 28-a
Dear Board Members and FASB Staff:
The Mortgage Bankers Association1 (MBA) appreciates the opportunity to
comment on the proposed FASB Staff Position (FSP), Interim Disclosures about
Fair Value of Financial Instruments (the proposed FSP). The purpose of the
proposed FSP is to increase the frequency of disclosures about fair value to
improve the transparency and quality of information provided to users of financial
statements.
FASB Statement No. 107 (Statement 107), Disclosures about Fair Value of
Financial Instruments, currently requires disclosures about fair value of financial
instruments in annual financial statements. The proposed FSP would require
such disclosures to be made in interim financial reports as well.
The proposed FSP would be effective for interim and annual reporting periods
ending after March 15, 2009.
MBA's Comments
Support of Proposed FSP: MBA recognizes that the proposed FSP will require
more disclosures under what are already tight reporting deadlines. However,
given the current hybrid accounting model where some assets and liabilities are
carried at amortized cost and some at fair value, MBA recognizes users of
financial statements would be better served having fair value information on an
interim basis. Since the required disclosures are provided on an annual basis,
entities should already have infrastructure in place to prepare those disclosures.
Accordingly, MBA supports the proposed FSP. However, for SEC registrants,
the interim reporting period is much shorter than the annual reporting period.
Therefore, MBA asks that FASB continuously keep in mind the shortened interim
reporting time frame when considering the expansion of annual disclosures to
interim periods.
Support for Strategic Review of Fair Value Project: Paragraph 3 in the
background section of the proposed FSP refers to a recent addition to the FASB
agenda of a joint project with the International Accounting Standards Board
(IASB) to address the complexity related to recognition and measurement of
financial instruments (joint fair value project). MBA recognizes that there is a
growing conflict of opinion on the usefulness of fair value accounting as now
envisioned in the accounting rules. Accordingly, MBA strongly supports the joint
fair value project.
The MBA appreciates the opportunity to share these comments with the Board.
Any questions about MBA's comments should be directed to Jim Gross,
Associate Vice President and Staff Representative to MBA's Financial
Management Committee, at (202) 557-2860 orjgross@mortgagebankers.org.
Sincerely,
John A. Courson
President and Chief Executive Officer
http://www.fasb.org/ocl/FSPAPB-1/53572.pdf
VIA Electronic Mail (director@fasb.org)
Technical Director
Financial Accounting Standards Board
401 Merritt7, P.O. Box 5116
Norwalk.CT 06856-5116
File Reference; Proposed FSP FAS 107-b and APB 28-a
Dear Board Members and FASB Staff:
The Mortgage Bankers Association1 (MBA) appreciates the opportunity to
comment on the proposed FASB Staff Position (FSP), Interim Disclosures about
Fair Value of Financial Instruments (the proposed FSP). The purpose of the
proposed FSP is to increase the frequency of disclosures about fair value to
improve the transparency and quality of information provided to users of financial
statements.
FASB Statement No. 107 (Statement 107), Disclosures about Fair Value of
Financial Instruments, currently requires disclosures about fair value of financial
instruments in annual financial statements. The proposed FSP would require
such disclosures to be made in interim financial reports as well.
The proposed FSP would be effective for interim and annual reporting periods
ending after March 15, 2009.
MBA's Comments
Support of Proposed FSP: MBA recognizes that the proposed FSP will require
more disclosures under what are already tight reporting deadlines. However,
given the current hybrid accounting model where some assets and liabilities are
carried at amortized cost and some at fair value, MBA recognizes users of
financial statements would be better served having fair value information on an
interim basis. Since the required disclosures are provided on an annual basis,
entities should already have infrastructure in place to prepare those disclosures.
Accordingly, MBA supports the proposed FSP. However, for SEC registrants,
the interim reporting period is much shorter than the annual reporting period.
Therefore, MBA asks that FASB continuously keep in mind the shortened interim
reporting time frame when considering the expansion of annual disclosures to
interim periods.
Support for Strategic Review of Fair Value Project: Paragraph 3 in the
background section of the proposed FSP refers to a recent addition to the FASB
agenda of a joint project with the International Accounting Standards Board
(IASB) to address the complexity related to recognition and measurement of
financial instruments (joint fair value project). MBA recognizes that there is a
growing conflict of opinion on the usefulness of fair value accounting as now
envisioned in the accounting rules. Accordingly, MBA strongly supports the joint
fair value project.
The MBA appreciates the opportunity to share these comments with the Board.
Any questions about MBA's comments should be directed to Jim Gross,
Associate Vice President and Staff Representative to MBA's Financial
Management Committee, at (202) 557-2860 orjgross@mortgagebankers.org.
Sincerely,
John A. Courson
President and Chief Executive Officer
http://www.fasb.org/ocl/FSPAPB-1/53572.pdf