Read this if you are a Chief Financial Officer at a financial institution.
The mechanics of interest rate swaps
Interest rate swaps, a form of derivative, are a tool financial institutions can use to manage interest rate risk. In this form of derivative, as an example, the financial institution may hedge the interest rate risk on a pool of fixed rate loans by executing a derivative contract with a counterparty. The derivative contract indicates the financial institution will pay a fixed rate to the counterparty, while the counterparty will pay the financial institution a variable rate. These payments are typically made on a net settlement basis. Thus, the financial institution has effectively turned its fixed rate lending into variable rate lending.
This example is considered a hedge – since the financial institution is mitigating its interest rate risk, as opposed to a speculative transaction – where the financial institution assumes risk with the hope of commensurate reward.
1Original promissory notes
2Derivative contract between financial institution and counterparty
This type of transaction allows the financial institution to separate credit risk from interest rate risk. Borrowers often prefer fixed rate financing, since future cash flows are known. However, a financial institution may avoid lending to creditworthy borrowers that expose the financial institution to excessive interest rate risk. An interest rate swap may allow the financial institution to provide financing to the borrower without having to sell the loan to mitigate interest rate risk.
The accounting for interest rate swaps via hedge accounting
Derivatives are recorded at fair value with changes in fair value generally reported in earnings. Hedge accounting is optional and may help prevent earnings volatility due to changes in the fair value of the derivative. Hedge accounting varies depending on the type of hedge. In the case of an interest rate swap, the hedge may be a cash flow hedge or a fair value hedge. A cash flow hedge is one where the financial institution looks to mitigate risk from variable exposures (such as a swap that effectively hedges LIBOR-based trust preferred securities to a fixed rate). Conversely, a fair value hedge looks to mitigate risk from fixed exposures. A fair value hedge is a hedge of the exposure to changes in the fair value of a recognized asset or liability or an unrecognized firm commitment.
The example above describes a fair value hedge, since the financial institution is mitigating its exposure to the change in fair value of the fixed rate loans (due to changes in market interest rates) by, in substance, converting its fixed position into a variable position. For fair value hedges, the derivative is recorded at fair value with any changes in fair value recorded through earnings. The hedged item is also adjusted to its fair value through earnings. Thus, to the extent changes in the fair value of the hedging instrument and hedged item offset one another, there is no net impact on earnings.
Cash flow hedges
For cash flow hedges, the derivative is also recorded at fair value; however, the effective portion of changes in fair value of the derivative (i.e., the portion that offsets changes in expected cash flows of the hedged item) is recorded in other comprehensive income (OCI) rather than earnings. These changes are then reclassified into earnings when the hedged item affects earnings. A hedge is considered effective if the changes in the cash flow or fair value of the hedged item and the hedging instrument offset each other. Historically, the ineffective portion of the hedge is immediately recorded through earnings. However, Accounting Standards Update (ASU) 2017-12: Derivatives and Hedging (Topic 815), which we discuss below, simplifies this rule by enabling all changes in fair value of the derivative, not just the effective portion, to be recorded in OCI. For a cash flow hedge, there is no effect on the accounting for the hedged item.
Measuring the effectiveness of a hedge relationship can prove to be complicated, and may in some cases require statistical methods, such as regression analysis. However, for interest rate swaps only, generally accepted accounting principles (GAAP) provides a “shortcut” method. If all of the applicable conditions in paragraph 810-20-25-104 of the Financial Accounting Standards Board’s (FASB) Accounting Standards Codification (the “official” source of GAAP) are met, an entity may assume perfect effectiveness in a hedging relationship of interest rate risk involving a recognized interest-bearing asset or liability and an interest rate swap. Examples of some of the conditions are:
- The notional amount of the interest rate swap must match the principal amount of the interest-bearing asset or liability being hedged; and
- For fair value hedges only, the expiration date of the interest rate swap must match the maturity date of the interest-bearing asset or liability or, as amended by ASU 2017-12, the assumed maturity date if the hedged item is measured in accordance with paragraph 815-25-35-13B. Paragraph 815-25-35-13B indicates an entity may measure the change in the fair value of the hedged item attributable to interest rate risk using an assumed term that begins when the first hedged cash flow begins to accrue and ends when the last hedged cash flow is due and payable.
Although use of this approach may be considered a shortcut compared to traditional hedge effectiveness assessments, it can still be difficult to qualify for the shortcut method given the number of conditions that need to be met. The shortcut method is also very rigid – the specified conditions must be met exactly.
ASU 2017-12
In 2017, FASB issued ASU 2017-12 to improve the financial reporting of hedging relationships to better portray the economic results of an entity’s risk management activities in its financial statements. For non-public business entities, ASU 2019-10 delayed the effective date of ASU 2017-12 to fiscal years beginning after December 15, 2020, and interim periods within fiscal years beginning after December 15, 2021. For public business entities, the ASU is already in effect.
ASU 2017-12 makes several changes, which the FASB refers to as “targeted improvements”, to the accounting requirements for hedging activities. Two of these changes, which will likely be beneficial to many financial institutions, are partial-term hedging and use of the “last-of-layer” method.
With the adoption of ASU 2017-12, institutions can measure the hedged item in a partial-term fair value hedge of interest rate risk (e.g., a swap whose term is shorter than that of the loan pool it hedges) by assuming the hedged item has a term that reflects only the designated cash flows being hedged (i.e., that only considers the portion of the term of the loans that corresponds with the term of the swap). Prior to ASU 2017-12, GAAP did not allow this methodology when calculating the change in the fair value of the hedged item attributable to interest rate risk. Thus, institutions would often experience a difference between changes in the fair value of the hedging instrument and the hedged item due to the difference in maturities, resulting in hedge ineffectiveness that was recognized in earnings. Under ASU 2017-12, as long as the termination date of the hedging instrument is on or prior to the maturity date of the hedged item (in this case the loans), partial-term hedging may be used for changes in fair value of the loans during the term of the swap.
Prior to ASU 2017-12, GAAP indicated that hedge accounting should generally be applied to specifically identified assets or liabilities or portions thereof. Therefore, prepayment risk at the individual asset or liability level must be considered. The result can be frequent dedesignation and redesignation of hedges since many hedging instruments do not allow for prepayment. The last-of-layer method introduced by ASU 2017-12 allows the entity to designate a portion of the principal balance of a loan pool that is not expected to be affected by prepayments, defaults, or other events affecting the timing and amount of cash flows, without necessarily identifying which loans (or portions thereof) in the pool are expected to remain outstanding during the term of the hedging instrument. Under this designation, prepayment risk is not incorporated into the measurement of the hedged item. So, similar to the partial-term fair value hedge provisions, the last-of-layer method provides added flexibility in matching terms between the hedging instrument and the hedged item.
In May 2021, FASB issued proposed ASU 2021-002, which would provide clarifying and additional guidance on the application of ASU 2017-12. Amongst other things, the proposed ASU would expand the last-of-layer method to allow multiple-layer hedges. As a result, the term “last-of-layer method” would be renamed “the portfolio layer method.” The portfolio layer method would allow the financial institution to establish tranches, or multiple layers, within its hedged loan pool based on, for example, contractual maturity dates. These various layers could then be paired with different hedging arrangements. Multiple layers also provide added flexibility in the event the financial institution needs to dedesignate a portion of the hedging relationship, which would be required if circumstances change such that the hedge is no longer highly effective.
Lastly, ASU 2017-12 also makes changes to the presentation of changes in fair value in the financial statements. Under ASU 2017-12, for fair value hedges, changes in fair value of the hedging instrument should be presented in the same income statement line that is used to present the earnings effect of the hedged item. (Previous GAAP did not specify a required presentation of the change in fair value of the hedging instrument.) For cash flow hedges, the ineffective portion of such hedges is no longer presented separately from the effective portion. Rather, the entire change in fair value of the hedging instrument is presented in other comprehensive income. These amounts are then reclassified to earnings in the same income statement line item that is used to present the earnings effect of the hedged item when the hedged item affects earnings. According to FASB, these changes are thought to make it easier for the user of the financial statements to understand the results and costs of an entity’s hedging program.
ASU 2017-12 appears to make hedging activities, and the resulting accounting, much more flexible while also reducing the complexity of reporting such transactions. While we have only provided a snapshot of what we believe to be some of the most relevant provisions of the ASU for financial institutions, we encourage you to read the ASU in its entirety to see if there are other provisions that may prove to be useful or applicable to your institution. Likewise, with adoption fast approaching, we encourage you to reach out to your auditors to start the discussion as to how this ASU may impact and/or provide additional opportunity for your financial institution.
For more information on ASU 2017-12, including a deeper dive on the proposed portfolio layer method, check out a recent webcast hosted by our colleagues at Stifel.