This article, "GASB 96: Subscription-Based Information Technology Arrangements (SBITA)," originally appeared on LeaseQuery.com.
Summary provided by MaterialAccounting.com: This article explains SBITAs under GASB 96 and how to account for them.
IT software subscription services allow governments to benefit from the use of IT software without maintaining a perpetual license or title to the software. Therefore, these arrangements are mutually beneficial for both the vendor and the government. Because of the increased popularity of subscription-based information technology arrangements (SBITAs), the GASB issued Statement No. 96, Subscription-Based Information Technology Arrangements (GASB 96) to address the accounting treatment and financial reporting for these agreements. No prior guidance exists for these specific contracts.
GASB 96 defines what a subscription-based information technology arrangement is and explains how to account for them. This new governmental accounting standard was published to improve financial reporting among governmental organizations by providing uniform guidance for SBITAs. The guidance will also provide transparency in financial reporting by requiring governments to report a subscription asset and liability on their statement of net position, representing the obligations incurred and related assets received from SBITAs.
GASB 96 is effective for organizations with fiscal years beginning after June 15, 2022, and all reporting periods thereafter. However, the GASB encourages early application of the standard.
To apply GASB 96, organizations first must determine whether or not the contract is a SBITA. Under GASB 96 “a SBITA is a contract that conveys control of the right to use another party’s (a SBITA vendor’s) IT software, alone or in combination with tangible capital assets (the underlying IT assets), as specified in the contract for a period of time in an exchange or exchange-like transaction.”
A key component of this definition is the element of control. Governments must evaluate each contract to determine whether the contract grants them control over the underlying IT assets. Similar to GASB 87, this requires assessing whether the government has the right to both the present service capacity of the underlying IT assets and to dictate the nature and manner of use of the underlying IT assets. Both of these specifications must be met for the government to have control, and therefore, for the contract to be a subscription-based information technology arrangement.
GASB 96 explicitly excludes contracts which only provide an organization IT support services, but does include contracts providing IT support services in conjunction with the right to use a related IT asset. The following are also exempt from the scope of GASB 96:
- Contracts that meet the definition of a lease under GASB 87. This may occur when a contract includes both a software component and a capital asset component, and the capital asset’s cost significantly exceeds the software’s cost.
- Governments that provide other entities the right to use their own IT software and associated tangible assets through a SBITA.
- Contracts that meet the scoping criteria for GASB Statement No. 94, Public-Private and Public-Public Partnerships and Availability Payment Arrangements.
- Any licensing arrangements providing the government entity a perpetual license to use a vendor’s computer software falling under the scope of GASB Statement No. 51, Accounting and Financial Reporting for Intangible Assets.
Additionally, GASB 96 provides an exemption for short-term SBITAs. Under GASB 96, a short-term SBITA has a maximum possible term of 12 months at the commencement of the subscription term. This includes any renewal or extension options regardless of whether or not the government is reasonably certain to exercise these options. This is similar to the GASB 87 short-term lease definition, as both consider all possible term extensions rather than the organization’s probability of exercising any of those options. The governmental entity is not required to recognize a subscription asset and liability for any short-term SBITA. Instead, subscription payments are recognized as outflows of resources when incurred, with an asset recognized if payments are made in advance, or a liability if payments are due as of the end of a reporting period.
If a SBITA is identified, government entities recognize a subscription liability and a subscription asset at the commencement of the subscription term of the SBITA, which occurs when the government obtains control of the right to use the underlying IT asset.
The subscription term is the period that the government has the noncancellable right to use the underlying IT assets, plus the following periods, if applicable:
- Periods covered by a government’s extension option if it is reasonably certain that the government will exercise that option
- Periods covered by a government’s termination option if it is reasonably certain that the government will not exercise that option
- Periods covered by a vendor’s extension option if it is reasonably certain that the SBITA vendor will exercise that option
- Periods covered by a vendor’s termination option if it is reasonably certain that the vendor will not exercise that option
Like the present value calculation for lease liabilities, the initial subscription liability is measured as the present value of the total subscription payments expected to be made to the vendor during the subscription term. The total future payments are discounted using the interest rate the vendor charges the government, which may be the interest rate implicit in the SBITA. If the implicit interest rate is not readily determinable, the government may use an estimated incremental borrowing rate for the present value calculation.
GASB 96 outlines that the payments included in the present value calculation of the subscription liability should include the following:
- Fixed payments
- Variable payments based on an index or a rate, measured using the index or rate as of the commencement of the subscription term
- Variable payments that are fixed in substance
- Termination penalties, if the subscription term reflects the government exercising either an option to terminate the agreement or a fiscal funding or cancellation clause
- Incentives receivable from the vendor
- Other payments the government is reasonably certain will be required to be made to the vendor
In subsequent periods, the government will accrue interest on the remaining subscription liability at the applicable discount rate. The subscription payments will be allocated first to the accrued interest, and then to reduce the outstanding subscription liability.
In addition to the subscription liability, the government recognizes a subscription asset. The subscription asset is measured as the initial value of the subscription liability plus
- payments made to the vendor at the commencement of the subscription term
- capitalizable initial implementation costs
- minus any vendor incentives received at the commencement of the subscription term
Subsequently, the government will amortize the subscription asset in a systematic and rational manner over the shorter of the subscription term or the useful life of the underlying IT asset. Amortization of the subscription asset begins at the commencement of the subscription term, and is reported as an outflow of resources by the governmental entity.
In addition to subscription payments, there may be cash outlays for other activities associated with SBITAs. The type and timing of the activity dictates the accounting treatment of these cash outlays. Other activities associated with SBITAs are grouped into three stages:
1. Preliminary project stage
The preliminary project stage includes activities associated with the government’s decision to procure the technology provided by the SBITA. During this stage, governments evaluate vendors, applicable pricing and other various options related to the SBITA and their organization. Any cash outlays made by the government while in this stage are expensed in the period incurred.
2. Initial implementation stage
During the initial implementation stage, the government may spend money and resources implementing the selected system through system customizations, testing, data migration, installation, etc. Any charges incurred while placing the subscription asset into service are included in this stage. After the subscription asset is placed into service, this stage of the project is complete. Cash outlays during this initial implementation stage are generally capitalized as part of the subscription asset.
3. Operation and additional implementation stage
Throughout the subscription term, governments may experience operational challenges which require technical support, maintenance, troubleshooting, or other measures to assist the entity in maintaining ongoing access to the underlying IT assets. The government’s cash outlays during the operation and additional implementation stage are expensed in the period incurred, unless the activity is related to increasing the efficiency of or adding to the functionality of the subscription asset in a way that didn’t exist before. For these types of activities, the costs are capitalized as an addition to the subscription asset.
The long-term portion of the subscription liability is reported as a long-term liability, separate from debt and the short-term portion of the subscription liability is recorded as a current liability on the statement of net position. In contrast, the total subscription asset is reported as a noncurrent intangible asset, on a separate line item from other capital assets
The amortization of the subscription asset is reported as an outflow of resources, whereas subscription payments are allocated between a reduction of the subscription liability and any accrued interest. In addition, information related to a government entity’s SBITAs is also required to be included in the notes to the financial statements.
The disclosure requirements under GASB 96 are not arduous or extremely lengthy. However, since specific disclosures were not required for IT agreements previously, below is a full list to prepare for transition. Short-term SBITAs are excluded from the disclosure requirements.
- A general description of the government’s SBITAs, including the basis, terms, and conditions of any variable payments not included in the measurement of the subscription liability
- The total amount of subscription assets and related accumulated amortization reported on a separate line item from other capital assets.
- The amount of outflows of resources recognized in the current period for
- variable payments not included in the measurement of the subscription liability and
- any other payments (for example, penalties) not included in the measurement of the subscription liability
- The maturity of the subscription liability separated into principal and interest, for each of the five years subsequent to the reporting period and in five-year increments for the remaining term of the SBITA
- Any SBITA commitments not yet reported as a subscription liability on the statement of net position (i.e prior to the commencement of the subscription term)
- Any impairment loss and the applicable adjustment to the subscription asset
GASB 96 explicitly defines SBITAs and explains how government entities will account for them upon adoption. Additionally, the standard discusses the proper accounting treatment for cash outlays other than subscription payments including costs incurred prior to the commencement of the SBITA agreement and during the subscription term. The effective date of the standard for fiscal years beginning after June 15, 2022 provides organizations time to first gain an understanding of the standard and then gather existing contracts to determine their total SBITA portfolio. When a SBITA is identified, a subscription liability and subscription asset will be calculated and recognized on the government’s statement of net position. In subsequent periods, the subscription asset is amortized and the subscription liability is reduced. Finally, new disclosures are required for subscription-based information technology arrangements.
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