Posts Tagged ‘financial crisis’

Trial Balloon re Gov’t Confiscation of Private Retirement

Saturday, June 20th, 2009


Proposal, Testimony or Trial Balloons at House Education & Labor Committee to set up “Universal Pension Plan,” Meaning Confiscation of $3 Trillion Private Retirement Accounts.

This horrifying disclosure was made in the Accuracy in Media issue of 2 3 09. Apparently, testimony occurred sometime in 2007. Currently, this discussion seems very general, without any specific Bill or provisions. However, the implications are so disturbing that some discussion is appropriate.

Supposedly, these accounts would in the future be used to provide much needed government funds. It is unclear whether only new pension contributions would go into government coffers or whether the existing $3 trillion would also be used. If the latter, consider that funds are composed mostly of common stocks. Since most of these are badly depressed right now, would this mean selling them off at current losses? If so, the funds, along with new contributions, would be invested in government bonds. This is the same approach as with Social Security taxes that are “invested” in a non existent trust fund.

The critical point is that viability of current pension benefits and future benefits to current participants depends on interest and appreciation. Invariably, higher returns are projected and depended on than would ever be available in government bonds. Both selling current common stocks and realizing losses or even investing future contributions in government bonds would lower available returns and therefore reduce benefits.

The question is how such reduced benefits would be allocated. One way would be to leave untouched benefits, mostly retirement benefits, payable to current recipients. The entire brunt of lower investment returns would thus fall on other current participants and future recipients. With the egalitarian sentiments prevalent today, along with Obama’s pious call for “shared responsibility,” it seems more likely that all participants would face reduced benefits.

One approach would be to leave current benefits payable and other benefits accrued to date untouched as long as possible. Then, sometime down the road, the lower investment returns would mean the new “Universal Pension” trust fund, or whatever it is labeled, would run out of money. This, of course, is the eventual fate awaiting Social Security, although projections other than investment return are the problem. One solution to eventual “fund” insolvency would be to mandate increased future contributions from employers, analogous to increased Social Security taxes.

Just like Social Security taxes, it is an eminently safe bet that confiscated private pension funds, current and/or future, would be used to cover current government expenditures. They could cover the mind-boggling deficits that would arise from bailouts.

The above views are my own and are not necessarily those of any professional organization.

Norman E. Hill, FSA, MAAA, Member AICPA, ASCPA
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Developments in Mark to Market Accounting

Sunday, April 26th, 2009


Recent Development of Mark to Market Accounting

Several years ago, I noted a press release about the appointment of a new Chief Accountant at the SEC. He was a retired partner from an accounting firm where I had also been a partner. At first, I thought this was a positive development. A top-flight accountant should ensure sensible accounting policies at the top GAAP regulatory agency.

The first quote I saw from the new Accountant dissuaded me from this view. “I’m just a little old country boy who likes market values,” came out of his mouth. I wasn’t sure just what he meant. In the past, whenever I heard the phrase, “…Little ole’country boy,” I automatically reached for my wallet.

I, along with all publicly traded companies, soon found out exactly what he meant. He rigorously imposed the mark to market rule for invested assets such as bonds and mortgages. This approach had an immediate impact on balance sheets of banks, insurance companies, and other financial institutions. Until now, life insurance companies especially stated publicly that they sold long term contracts. Therefore, on balance sheets, they had always carried the above types of invested assets at amortized value. The exceptions for insurers had been for:

1. The above assets deemed to suffer from permanent impairment.

2. Separate accounts tied to variable annuities and similar products, where matching assets had mostly been common stocks and where other types had also been carried at market values.

The Chief Accountant touted the market value approach with a near-fanaticism. One exception was allowed, for an insurer that committed to having both the intent and ability to carry the above assets to maturity. However, if a company traded or disposed of such assets prematurely, there were significant penalties. These penalties seemed to spook the national audit firms. Whether it was deference to one of their own as the SEC’s Chief Accountant, or actual fear of him, they seemed to recommend strongly against even thinking about the exemption to keep amortized cost.

In the meantime, statutory accounting for insurance companies continued to stress amortized cost. Of six investment grade categories for the above assets, the lowest one was for those with permanent or very significant impairments. The latter would be carried at market value, but the great majority of such assets continued with amortized cost on balance sheets.

Until recently, there was little controversy as to HOW to compute market values. Prevailing trades were often available with published market values. If not, the present value of cash flows, using a prevailing discount rate, could be used, since this, at least implicitly, was the basis for traded values.

One corruption of this approach was uncovered in the Enron bankruptcy. For exotic energy futures, no published market values were available. The pattern of future cash flows was basically unknown. Apparently, the company made up its own cash flow patterns and “market values” each quarter, using blatantly obvious balancing item approaches, rather than any objective attempts at cash flow estimation.

Redefined Mark to Market and Economic Turmoil

Recent so-called economic turmoil really stems from accounting distortions. For many securities, recent trades have disappeared. Many securities, even though still performing, became temporarily illiquid. However, instead of relying on the present value of cash flows, a new interpretation of “market value,” namely, liquidation or fire sale value, has been uniformly followed. Apparently, this has been an SEC interpretation of market value.

The result has been that temporarily illiquid securities of banks and some other financial institutions were immediately subjected to drastic balance sheet writedowns. These carried over, of course, to retained earnings. Banks, brokerage houses, investment banks, and even insurance giants like AIG teetered on the edge of bankruptcy. Ratings were also impacted very negatively, due to these severe reductions in retained earnings and other measures of financial soundness. Mergers, government-enforced mergers, or government loans (“bailouts”) have become the order of the day.

In the words of Holman Jenkins, from a recent Wall Street Journal article, “Mark to Mayhem,” “Banks, though, are subject to regulatory capital standards and therefore can be rendered insolvent overnight based on a accounting writedown.” With forced asset writedowns triggering much lower retained capital, this is exactly what has happened.

Two other articles that also point the finger at bad accounting for the recent crisis are “Mark to Nonsense,” by Steve Forbes in the 9 15 08 Forbes and “How to Save the Financial System” by William Isaac, in a recent Wall Street Journal issue.

Some have said that investors, rating agencies and others deserve to know the current status of asset portfolios. In other words, they deserve to know what current “fire sale” values of securities are. One approach would be to disclose such values, together with management statements that these values are only temporary (assuming no permanent impairment) and do not reflect any intentions or need on their part to sell currently.

On September 30, 2008, the SEC’s current Chief Accountant issued Statement 2008-234. It stated that, in determining market value, the use of discounted cash flows was acceptable, even in the absence of recent trades. This extraordinary statement could be construed as a regulatory admission that its previous pronouncements in this area were dead wrong. In any event, it could have an extremely favorable effect on balance sheet and retained earnings values. Third quarter GAAP financials could show drastic improvements in results, due to revised market values, and institutions teetering on the brink of insolvency before could now how a restoration to health.

The sad aspect of this could well be that such institutions were never teetering in the first place, but were victimized by bad accounting.

Current Developments

A few days ago, Wells Fargo Bank put in a bid for Wachovia assets that was much higher than Citigroup’s. The latter bid came before the abovementioned SEC announcement, restoring historical methods for determining market value. It could be very interesting to see if there is a link between the new Wells Fargo bid and a likely very significant, positive accounting change.

Momentum for a government bailout of financial institutions started before the 9-30 SEC announcement. Most unfortunately, after one failure, a revised Bill was passed by the House on 10 3 08 (after Senate passage on 10 1 08). The total cost of the Bill is stated as a staggering $700 billion. Possibly, $350 billion of this is earmarked to Secretary Poulson for his purchases of “troubled” assets (at prices he apparently sets). IF market values rocket upward, after more reasonable accounting prevails, perhaps Poulson won’t find many attractively priced assets. Those with permanent impairments would be covered by this Bill, to be sure. However, the likely government strings that would go with any purchase may make such transactions unattractive. One can always hope!

Summary

The current “economic crisis,” to be sure, includes an increase in permanently impaired assets. Mortgage defaults and other non-performing assets are noticeably higher than in recent years. However, the great bulk of the crisis is really due to bad accounting. In
other words, it is an artificially induced crisis from regulatory impositions of fire sale interpretations of “market value,” instead of the more rational one of present value of future cash flows.

Financial institutions should be able to use the latter market values for balance sheet presentation of performing assets. Due to misuse of market value and recently prevailing fire sale values, these should also be disclosed in financial statements.

Hopefully, rather than any “bailout,” this approach to market values can restore investor confidence and ensure that our economy can ride out this scary setback.

Norman E. Hill, FSA, MAAA, CPA
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