| Home · Online Publications · Journal of Accountancy · Online Issues · July 1998 · Applications in Accounting | |
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| Applications in Accounting |
| By Charles L. McDonald and Daniel Noll |
Charles L. McDonald, CPA, PhD, is associate professor of accounting, Fisher School of Accounting, University of Florida, Gainesville. Daniel Noll, CPA, is a technical manager in the AICPA accounting standards division. Mr. Noll is an employee of the American Institute of CPAs and his views, as expressed in this article, do not necessarily reflect the views of the AICPA. Official positions are determined through specific committee procedures, due process and deliberation.
| EXECUTIVE SUMMARY |
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T he conclusion seems simple enough: The costs of start-up activities, including organization costs, should be expensed as they are incurred. But how easy will entities find it to apply this new rule by the AICPAs AcSEC? In April 1998, AcSEC issued SOP 98-5, Reporting on the Costs of Start-Up Activities, which applies to all nongovernment entities. Most entities are required to adopt the SOP for fiscal years beginning after December 15, 1998, except for certain investment companies, which were required to adopt it as of June 30, 1998. (See Official Releases, page 99, for the text of the SOP). This article addresses some of the possible confusion about what SOP 98-5 does and does not cover.
That said, the final definition is broad and might appear to overlap with activities related to buying or building certain assets, such as fixed assets and inventorycomments on the exposure draft of the SOP highlighted some of the confusion. One provision of the SOP is worth stressing: Costs that entities previously capitalized as start-up costs should now be expensed as they are incurred. So, if Joes Retail Co. has start-up costs of $1 million on its balance sheet, it should expense the entire $1 million immediately upon adopting SOP 98-5 and then expense all such costs as they are incurred in the future.
What is GAAP for fixed assets? For most entities, the primary level-A GAAP sources for fixed asset accounting include chapter 9, section C, of Accounting Research Bulletin (ARB) no. 43, Depreciation, and FASB Statement no. 34, Capitalization of Interest Cost, which refers to the notion of capitalization up to the point that an asset is ready for its intended use. Neither source provides complete details about what costs are capitalizable. Instead, CPAs often must use textbooks and industry practice to determine detailed fixed asset accounting policies.
Intermediate financial accounting textbooks include the following expenditures as fixed assets: (1) the cost of buildingmaterials, labor and overhead incurred during construction; professional fees; and building permits and (2) the cost of purchasingpurchase price, freight and handling; insurance during transit, assembly and installation; and the cost of trial runs.
What is GAAP for inventory? For most entities, chapter 4 of ARB no. 43 is the primary level-A GAAP source for inventory accounting. Although that chapter does not give CPAs an all-inclusive list of the costs that should be capitalized as inventory, paragraph 5 does provide some guidance. As in fixed asset accounting, many entities use textbooks and established industry practice to determine capitalizable inventory costs.
Accounting textbooks include these expenditures as inventory: the cost of manufacturingraw materials, labor and overhead, such as indirect materials and indirect labor, and the cost of purchasingpurchase price, freight and other costs that are directly related to bringing goods to the purchaser and converting them to salable condition.
AcSEC does not have the authority to provide further guidance on level-A topics, such as fixed asset and inventory accounting.
CPAs who work for entities that must implement SOP 98-5 would be wise to meet with their outside CPA firms before the end of a reporting period to decide how costs are to be categorizedas start-up, fixed assets or inventory, for example. As a CPAs individual judgment is required to make some of these decisions, entities should take steps to prevent last-minute disagreements.
Given the difficulty of more precisely defining start-up costs, it is no wonder SOP 98-5 requires them to be expensed as incurred. It appears that U.S. financial reporting will not be alone in this requirement. The latest available draft of the International Accounting Standards Committee standard on intangibles requires entities to expense start-up costs as incurred. Can the world be so wrong?
