| EXECUTIVE
SUMMARY |
IN DECEMBER 2004, FASB ISSUED
ITS NEWEST standard, Statement
no. 123(R), Share-Based Payment. It
is proving to be as controversial as its
predecessors. The most significant change
is the requirement that companies use the
fair value method to account for
share-based compensation. STATEMENT NO. 123(R)
ELIMINATES THE USE of the
intrinsic value method of accounting for
share-based payments under APB Opinion
no. 25. Many companies had continued to
follow it even after FASB issued
Statement no. 123 in 1995.
TO FOLLOW THE FAIR VALUE
METHOD, most companies will have
to use an option-pricing model to
estimate the fair value of employee share
options. There are several methodologies
to choose from, including a closed form
model or a lattice model. Most companies
that currently use the fair value method
use Black-Scholes-Merton, a closed-form
model.
ALL MODELS RELY ON A NUMBER
OF ESTIMATED itemsincluding
the exercise price of the option, its
term, the current market price of each
share of underlying stock, expected
volatility and dividends and the
risk-free interest ratethat can
greatly influence the fair value of
share-based compensation.
CPAs CAN EASILY CHOOSE
SEVERAL MODEL components while
others are more complex and rely on
forward-looking information. Companies
can begin by examining historic
information but should make appropriate
adjustments to reflect the future.
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| TIM V. EATON, CPA, PhD, is
associate professor of accounting at
Marquette University in Milwaukee. His
e-mail address is tim.eaton@marquette.edu. BRIAN R. PRUCYK, PhD, is
assistant professor of finance at
Marquette University. His e-mail address
is brian.prucyk@marquette.edu. |
he controversy over accounting for stock options
and similar compensation continues. While the
wounds from the fight over FASB Statement no. 123
a decade ago are still healing, FASB issued a
revised standard, Statement no. 123(R), Share-Based
Payment, in December 2004. The board said
its goal was to provide investors and other
financial statement users with more complete and
neutral information by requiring companies to
recognize the compensation cost related to
share-based transactions in their financial
statements.
Initial reaction to the
standard shows the debate over the best way to
account for share-based compensation has not been
fully resolved. Congress, corporations and
individuals have voiced strong concerns about the
new rule. In September 2004, the FASB Web site
listed over 6,500 comment letters on the exposure
draft for Statement no. 123(R); a typical ED
generates fewer than 100. CPAs will find the
revised standard will have long-term implications
for their clients or employers. This article
explains the important details of the statement
and offers CPAs some suggestions for implementing
its provisions.
| Voluntary
Compliance FASB says
approximately 750 public companies in the
United States are voluntarily applying
the fair value method of accounting for
share-based payments in Statement no. 123
or have announced plans to do so.
Source:
FASB, Norwalk, Connecticut, www.fasb.org.
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A BRIEF HISTORY OF STOCK
OPTION ACCOUNTING
In 1972, the
Accounting Principles Board issued Opinion no.
25, Accounting for Stock Issued to Employees.
It used an intrinsic value method
of valuing stock compensation. The basic
methodology involved calculating the difference
between the market price of the underlying stock
and the exercise price of the options on the date
the company granted them. For example, an option
to purchase a share of stock with a market price
of $50 on the grant date and an exercise price of
$40 would have an intrinsic value of $10. This
method allowed companies to recognize no
compensation cost assuming they met certain
criteria. Although issued more than 30 years ago,
until very recently most companies chose to
continue following Opinion no. 25 for financial
reporting purposes.
The genesis of the new standard
goes back to 1993 when FASB issued an ED on
stock-based compensation that changed the
emphasis from the intrinsic to the fair value
method of valuing stock options. Under this
approach the option value (and related
compensation expense) was based on the market
price of an option with the same or similar terms
(when available) or estimated using an option
pricing model (applicable to most companies). The
option we referred to above that had an intrinsic
value of $10 would have a fair value of $18.34,
using the Black-Scholes-Merton
Model discussed in
detail below.
| Black-Scholes-Merton
at a Glance 
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Under tremendous
pressure, FASB issued Statement no. 123 in 1995.
It encouraged but did not mandate companies
use of the fair value method to determine
compensation expense on the income statement. As
a result of having this option, most companies
continued to use the intrinsic value method to
report compensation expense.
In 2003, members of Congress
developed the Stock Option Accounting Reform Act,
which would challenge FASB and mandate how
companies should account for share-based
compensation. To date no legislation has passed.
In the midst of the controversy FASB issued
Statement no. 123(R) late last year. (See
Official Releases, page 91.)
THE
REQUIREMENTS
Statement no.
123(R) covers a wide range of share-based
compensation arrangements including share
options, restricted share plans,
performance-based awards, share appreciation
rights and employee share purchase plans. Some of
its key requirements include
Companies are required to
use the fair value method to value options and
other share-based payments. This means they will
recognize compensation cost based on the fair
value of equity instruments issued for employee
services on the grant date.
This valuation should be
based on the observable market price, when
available, of an instrument with the same or
similar terms.
Since such a valuation
usually is not available for most share-based
payments, FASB recognizes that most companies
will use an option pricing model to estimate the
value.
FASB does not require a
specific option pricing model. However, any model
a company uses must incorporate a variety of
factors, including the exercise price of the
option, the term of the option, the current
market price of each share of underlying stock,
expected volatility and dividends and the
risk-free interest rate.
Once estimated, the company
should recognize the determined compensation cost
over the period in which an employee provides
service to receive the award (known as the
requisite service period).
Public companies must use
fair value to measure liabilities in share-based
payment transactions. Nonpublic companies,
however, may use intrinsic value.
The statement also requires
certain disclosures to help financial statement
users. These include the details of any
share-based compensation arrangements the company
offers, their effect on compensation cost on the
financial statements and what methodology the
company used to estimate the fair value.
Effective dates. Most
public companies must implement the new rules as
of the start of reporting periods beginning after
June 15, 2005. Public entities that file as small
business issuers and nonpublic companies have
extra time; they must apply Statement no. 123(R)
for the first annual reporting period after
December 15, 2005.
HOW
TO IMPLEMENT THE STATEMENT
In addition to
knowing the basic requirements of the new
standard, CPAs must familiarize themselves with
some important technical terms. These are listed
in a glossary. For most companies the next step will
be to decide which option pricing model to use.
In making this decision CPAs should understand
that employee share options differ from the usual
exchange-traded options most models were
developed to value in a number of ways. The most
notable are that the employee options are
nontradable and must be used exclusively by the
individual to whom they were granted.
Glossary
of Key Terms
Binomial
model. A lattice model (see
below) where the asset price can change
to only one of two possible values in the
next time period. Black-Scholes-Merton
model. A specific
closed-form valuation model for options
that cannot be exercised prior to
maturity.
Closed-form valuation
model. A model where an
estimated fair value can be calculated by
plugging numbers into an equation.
Expected volatility. The
expected fluctuation in the price of a
share of stock over the period for which
a company is valuing an option. It
usually is measured as the standard
deviation of expected continuously
compounded rates of return on the stock.
Fair value. The
amount at which an asset (or liability)
could be bought or sold (or settled) in a
current transaction between willing
parties.
Intrinsic value. A
value determined by taking the fair value
of the underlying security and
subtracting the exercise price of its
corresponding option.
Lattice valuation model. A
model where the asset price can take on
only a discrete number of values in the
next period. The derivative security is
valued based on these asset prices by
recursively working back through the
model from the derivatives final
maturity.
Option pricing model. A
valuation technique based on established
principles of financial economic theory
to estimate the fair value of employee
stock options and similar instruments.
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The choice of
which model to use is a critical decision for
CPAs and their employers or clients. FASB
discusses two basic modelsclosed-form and
lattice. Each has its own advantages and
disadvantages. The most common closed-form model
is Black-Scholes-Merton; companies may wish to
use it precisely because it is the most common
option pricing model in practice today. Besides
providing greater comparability with other
companies that also employ it, it is easier to
apply because it is a defined equation. (See
Black-Scholes-Merton
at a Glance.)
CPAs also easily integrate the model into a
spreadsheet. Black-Scholes is an acceptable
method according to Statement no. 123(R).
Some CPAs may feel a
lattice-type model is a better choice for their
companies. In fact, FASB originally recommended
the lattice model as preferable but backed down
after receiving public comment. The most common
lattice model is a binomial one. Although
companies use it less frequently, some argue the
binomial model provides more accurate estimates
of option compensation expense because it can
take into account more assumptions (early
exercise behavior) than Black-Scholes and can
incorporate multiple inputs (volatilities),
whereas Black-Scholes can only incorporate one
set of inputs. However, these same
characteristics also make it more complex. In
fact, some companies may not have staff with the
technical expertise necessary to integrate a
binomial model into their option pricing
activities.
Once they have selected a model
and begin to make the transition to the new
standard there are some practical tips CPAs
should consider.
Valuing compensation
expense is not simply a matter of plugging the
right numbers into a model. Many of
the components are quite complex and involve
forward-looking information. While historic
information can be a good starting point and may
be a reasonable indicator of what to expect,
companies should not rely on it alone. Instead
CPAs should make appropriate adjustments based on
a companys future.
In calculating meaningful
estimates of option value its very
important to use a consistent verifiable method
to estimate the parameters of any valuation
model. The approach a company uses should account
for most of the factors that have an impact on
the input being estimated. For example, in
estimating the weighted-average-life of an option
using the Black-Scholes-Merton model, CPAs should
explicitly account for any period over which the
option cannot be exercised and for any
predictable employee exercise patterns of which
they are aware.
The length of time over
which a company computes share price returns can
play a significant role in the expected
volatility input to the model. For example,
companies can use daily, weekly or monthly prices
in calculating returns. In most cases the shorter
the time period the returns are measured over,
the higher the resulting volatility estimate.
When estimating the value of an option with an
extended time to maturity, CPAs should recommend
a longer measurement period (monthly) to produce
more consistent results.
UNRESOLVED ISSUES
The new standard
does not answer all of the questions about
share-based compensation. Statement no. 123(R)
still permits companies to choose which option
pricing model they use. Different ones produce
different levels of compensation expense. FASB
may need to address this lack of comparability by
requiring companies to use a specific model.
Another concern is that within each model
companies can use various estimates based on
expectations. As each estimate changes, the
compensation expense can vary greatly. FASB will
continue to gather feedback from the accounting
profession, Congress and the public, making it
unlikely the controversy over accounting for
share-based compensation will go away anytime
soon. 
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