District Financial Reporting, 647-649 [2019-27573]
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647
Proposed Rules
Federal Register
Vol. 85, No. 4
Tuesday, January 7, 2020
This section of the FEDERAL REGISTER
contains notices to the public of the proposed
issuance of rules and regulations. The
purpose of these notices is to give interested
persons an opportunity to participate in the
rule making prior to the adoption of the final
rules.
FARM CREDIT ADMINISTRATION
12 CFR Part 620
RIN 3052–AD37
District Financial Reporting
Farm Credit Administration.
Proposed rule.
AGENCY:
ACTION:
The Farm Credit
Administration (FCA, we, or our)
proposes amending the regulation
governing how a Farm Credit bank
presents information on its related
associations when preparing annual
bank financial statements on a standalone basis. We propose to provide an
additional presentation option that
would allow the related association
financial information to be in a
supplement.
SUMMARY:
You may send us comments on
or before March 9, 2020.
ADDRESSES: We offer a variety of
methods for you to submit comments.
For accuracy and efficiency reasons,
commenters are encouraged to submit
comments by email or through FCA’s
website. As facsimiles (fax) are difficult
for us to process and achieve
compliance with section 508 of the
Rehabilitation Act, we are no longer
accepting comments submitted by fax.
Regardless of the method you use,
please do not submit your comment
multiple times via different methods.
You may submit comments by any of
the following methods:
• Email: Send us an email at regcomm@fca.gov.
• FCA website: https://www.fca.gov.
Click inside the ‘‘I want to . . .’’ field
near the top of the page; select
‘‘comment on a pending regulation’’
from the dropdown menu; and click
‘‘Go.’’ This takes you to an electronic
public comment form.
• Mail: Barry F. Mardock, Deputy
Director, Office of Regulatory Policy,
Farm Credit Administration, 1501 Farm
Credit Drive, McLean, VA 22102–5090.
You may review copies of comments
we receive at our office in McLean,
khammond on DSKJM1Z7X2PROD with PROPOSALS
DATES:
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Virginia, or on our website at https://
www.fca.gov. Once you are on the
website, click inside the ‘‘I want to. . .’’
field near the top of the page; select
‘‘find comments on a pending
regulation’’ from the dropdown menu;
and click ‘‘Go.’’ This will take you to the
Comment Letters page where you can
select the regulation for which you
would like to read the public comments.
We will show your comments as
submitted, but for technical reasons we
may omit items such as logos and
special characters. Identifying
information that you provide, such as
phone numbers and addresses, will be
publicly available. However, we will
attempt to remove email addresses to
help reduce internet spam.
FOR FURTHER INFORMATION CONTACT:
Technical information: Joi Neal,
Senior Accountant, Office of Regulatory
Policy, (703) 883–4223, TTY (703) 883–
4056.
Legal information: Laura McFarland,
Senior Counsel, Office of General
Counsel, (703) 883–4020, TTY (703)
883–4056.
SUPPLEMENTARY INFORMATION:
I. Objective
The objective of the proposed rule is
to improve shareholder access to district
financial information by providing an
additional method of presenting
financial information on a bank’s related
associations to those banks preparing
annual financial statements on a standalone basis.
II. Background
FCA regulation § 620.2(g) currently
provides a Farm Credit bank with two
alternatives for reporting information on
its related associations within the bank’s
Annual Report to Shareholders. The
first alternative, located in § 620.2(g)(1),
allows each bank to issue a combined or
consolidated report on the Farm Credit
bank and its related associations. This
presentation requires using a footnote
disclosure that summarizes the bank’s
‘‘stand-alone’’ balance sheet and income
statement. The second alternative,
located in § 620.2(g)(2), allows issuance
of a bank’s annual financial statements
on a stand-alone basis, where limited
financial information on the bank’s
related associations is placed in a
footnote. This footnoted information
may be unaudited but must include a
condensed statement of condition and
PO 00000
Frm 00001
Fmt 4702
Sfmt 4702
statement of income for the related
associations. The § 620.2(g)(2)
alternative was primarily added to the
regulation in recognition of the creation
of the Agricultural Credit Bank (ACB).1
There is only one ACB in the System
and it has both association stockholders
and cooperative entity stockholders,
requiring special consideration in
reporting presentations to ensure the
two groups of stockholders understand
the information being disclosed.
When adding the § 620.2(g)(2)
alternative in 1997, FCA explained that
because both methods of presenting
combined bank and related association
financial information were consistent
with Generally Accepted Accounting
Principles (GAAP) provisions at the
time, FCA made both alternatives
available to all the banks.2 However,
whichever presentation is used, it must
both comply with GAAP and provide
the most meaningful disclosure to
shareholders. Thus, each year Farm
Credit banks may select from either
reporting presentation when issuing
their annual reports as long as it
complies with GAAP and serves to
provide the most meaningful disclosure
to bank shareholders.
In November 2018, all four of the
Farm Credit banks jointly requested that
FCA amend § 620.2(g)(2) by allowing
disclosure of related association
financial information in a separate
supplement to a bank’s Annual Report
to Shareholders instead of through use
of a footnote within the annual report.
We evaluated the merits of the banks’
request and concluded permitting use of
a supplement instead of a footnote in a
bank’s Annual Report to Shareholders
could be beneficial so initiated this
rulemaking. Nothing in this proposed
rulemaking affects quarterly reporting
requirements.
III. Section-by-Section Analysis
FCA has consistently stated that the
relationship between a bank and its
related associations is an important one
that warrants discussion in the financial
statements and reports provided by the
banks. Further, we believe that a bank’s
shareholders need financial information
not just on the bank but also on the
1 The ACB structure resulted from the merger of
the Title III Banks for Cooperatives and a Farm
Credit Bank, resulting in the merged entity known
as CoBank, ACB.
2 See 62 FR 15089, March 31, 1997.
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07JAP1
648
Federal Register / Vol. 85, No. 4 / Tuesday, January 7, 2020 / Proposed Rules
khammond on DSKJM1Z7X2PROD with PROPOSALS
bank’s related associations to properly
evaluate the operations and financial
position of the district which the bank
funds.
A. Use of a Supplement When Issuing
Bank-Only Annual Financial
Statements
We propose revising § 620.2(g)(2) to
allow a Farm Credit bank to use either
a footnote or a supplement to provide
financial information on its related
associations when preparing the bank’s
annual financial statements on a standalone basis. Specifically, we propose
adding regulatory language to
§ 620.2(g)(2) that would allow Farm
Credit banks issuing the bank’s financial
statements on a stand-alone basis within
its Annual Report to Shareholders to
provide financial information on their
related associations either through
footnote or a supplement if such a
presentation is both allowable under
GAAP and serves as the most
meaningful disclosure presentation for
the bank’s shareholders. We believe
permitting use of a supplement could
facilitate shareholders locating and
understanding district information.
However, to preserve flexibility in how
the annual report of a bank is presented,
we are not proposing to remove the
existing method of reporting
information on a bank’s related
associations within a footnote.
As proposed, all information provided
through use of either a footnote or a
supplement would still be considered
part of the bank’s annual report and
therefore subject to the same accuracy,
distribution, and internal control
requirements of the annual report itself.
We are proposing language specifying
this to ensure the use of a supplement
is not considered a separate, financial
report. Further, we are specifically
proposing that if a supplement
presentation is used, it be distributed
along with the bank’s annual report. We
do not believe allowing separate
distribution of the supplement would
achieve the stated purpose of facilitating
shareholder comprehension of the
financial condition of the bank and its
district operations, including those of its
related associations. All the financial
information needs to be available to
shareholders at the same time to
accomplish that goal. Also, we believe
the proposed requirement to have the
supplement distributed along with the
annual report information that it
addresses will have little financial
consequence to the bank’s annual report
distribution costs. A Farm Credit bank
using the § 620.2(g)(2) presentation
method is allowed under FCA
regulation § 620.4(b)(1) to distribute its
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annual report exclusively through
website postings, absent a significant
event posing a material effect on the
bank’s related associations.3
We also propose that if a supplement
is used that the supplement be
referenced within the body of the bank’s
annual report. We propose requiring a
reference to the supplement within the
annual report to ensure shareholders
know where the additional information
is available. We believe this proposed
requirement is in keeping with
recognizing the supplement is a part of
the annual report and, just as the report
would direct the reader to a footnote or
appendix, it should direct the reader to
the supplement.
B. Reporting District Information When
Issuing Bank-Only Annual Financial
Statements
We propose adding language to
§ 620.2(g)(2) that the summary financial
information on associations included as
part of the bank’s annual report be
presented on a combined basis with the
bank’s information. FCA believes that
shareholder and investors use the
combined financial information to
evaluate the operations and financial
position of the district. Proposed
changes to § 620.2(g)(2) would facilitate
this use by requiring combined financial
information of each bank and its related
associations. Although the
supplemental district information
required by § 620.2(g)(2) is not a full set
of financial statements, we believe the
proposed condensed statements will
provide information that is meaningful
to stakeholders and investors, without
providing the extensive detail captured
in the Systemwide audited reports.
We are also proposing language to
clarify that the current § 620.2(g)(2)
option for banks to issue the related
associations’ financial information on
an unaudited basis extends to all the
financial information provided for the
related associations, whether in a
footnote or the proposed supplement.
Currently, some may believe only the
condensed statements of income and
condition named in the rule text may be
unaudited. It is our intent that the
proposed language removes any
perceived ambiguities in the existing
rule text of § 620.2(g)(2) regarding which
information may be unaudited. This
clarification would not affect the
existing requirement that the footnote or
the proposed supplement disclose the
basis of presentation if different from
the presentation of the bank-only annual
financial statements.
3 See
PO 00000
66 FR 14299, dated March 12, 2001.
Frm 00002
Fmt 4702
Sfmt 4702
Additionally, we propose amending
the § 620.2(g)(2) regulatory text to
emphasize that the financial
information provided by a bank on its
related associations (when preparing
annual bank financial statements on a
stand-alone basis) is not limited to the
named condensed statements of income
and condition. We propose this change
because we believe additional
information is, and should be, provided
as part of the bank’s annual report.
Examples of district information that we
would expect to see in either the
footnote or proposed supplement of a
bank’s annual report include, but are
not limited to, the following:
• The nature of business relationships
between System entities within the
bank’s district;
• Summary of District financial
information for the preceding three
years;
• Summary of district loan portfolio,
discussing concentration risks and
significant changes in credit quality,
nonperforming assets, past due loans,
loan loss allowance and reserves, and
loan aging analysis within the district as
compared to previous years.
• A description of combined
association investments;
• Districtwide capital levels and
regulatory ratios;
• Summary of key districtwide
income statement line items and
profitability measures; and
• A description of any qualified and
nonqualified districtwide defined
pension plan(s), including each plan’s
current funding status, accrued benefit
obligation and projected benefit
obligation, and key actuarial
assumptions.
We believe the proposed change,
along with the above list of items, will
provide meaningful transparency on the
financial condition of each Farm Credit
District.
IV. Regulatory Flexibility Act
Pursuant to section 605(b) of the
Regulatory Flexibility Act (5 U.S.C. 601
et seq.), FCA hereby certifies that the
proposed rule would not have a
significant economic impact on a
substantial number of small entities.
Each of the banks in the System,
considered together with its related
associations, has assets and annual
income in excess of the amounts that
would qualify them as small entities.
Therefore, System institutions are not
‘‘small entities’’ as defined in the
Regulatory Flexibility Act.
E:\FR\FM\07JAP1.SGM
07JAP1
Federal Register / Vol. 85, No. 4 / Tuesday, January 7, 2020 / Proposed Rules
List of Subjects in 12 CFR Part 620
Accounting, Agriculture, Banks,
banking, Reporting and recordkeeping
requirements, Rural areas.
For the reasons set forth in the
preamble the FCA proposes to amend 12
CFR part 620 as follows:
PART 620—DISCLOSURE TO
SHAREHOLDERS
1. The authority citation for part 620
is revised to read as follows:
■
Authority: Secs. 4.3, 4.3A, 4.19, 5.9, 5.17,
5.19 of the Farm Credit Act (12 U.S.C. 2154,
2154a, 2207, 2243, 2252, 2254); sec. 424 of
Pub. L. 100–233, 101 Stat. 1568; sec. 514 of
Pub. L. 102–552, 106 Stat. 4102.
Subpart A—General
2. Amend § 620.2 by revising
paragraph (g) to read as follows:
khammond on DSKJM1Z7X2PROD with PROPOSALS
*
*
*
*
(g) Each Farm Credit institution shall
present its reports in accordance with
generally accepted accounting
principles and in a manner that
provides the most meaningful
disclosure to shareholders.
(1) Any Farm Credit institution that
presents its annual and quarterly
financial statements on a combined or
consolidated basis shall also include in
the report the statement of condition
and statement of income of the
institution on a stand-alone basis. The
stand-alone statements may be in
summary form and shall disclose the
basis of presentation if different from
accounting policies of the combined or
consolidated statements.
(2) Any Farm Credit bank that
prepares its annual financial statements
on a stand-alone basis must also provide
financial information on its related
associations as part of its annual report.
The information on the related
associations must be presented on a
combined basis with the bank’s
financial information and, at a
minimum, include both a condensed
statement of condition and a statement
of income. The combined bank and
association financial information may
either be in the footnotes of the bank’s
annual report or located in a
supplement to the report. All combined
information provided through either a
footnote or a supplement will be
considered part of the bank’s annual
report, subject to the same annual report
preparation, distribution, and accuracy
requirements of part 620.
(i) The combined bank and
association financial information may
be unaudited but must disclose the basis
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15:46 Jan 06, 2020
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[FR Doc. 2019–27573 Filed 1–6–20; 8:45 am]
BILLING CODE 6705–01–P
47 CFR Part 73
Preparing and filing reports
*
Dated: December 17, 2019.
Dale Aultman,
Secretary, Farm Credit Administration Board.
FEDERAL COMMUNICATIONS
COMMISSION
■
§ 620.2
of presentation if different from
accounting policies used for the bankonly financial statements.
(ii) If the combined bank and
association financial information is
presented in the form of a supplement,
the supplement must be referenced
within the bank’s annual report and
accompany the annual report when
distributed.
*
*
*
*
*
[MB Docket Nos. 19–311, 13–249; FCC 19–
123; FRS 16313]
All-Digital AM Broadcasting,
Revitalization of the AM Radio Service
Federal Communications
Commission.
ACTION: Proposed rule.
AGENCY:
The Federal Communication
Commission proposes to amend its rules
to allow AM broadcasters to use alldigital transmissions. All-digital AM
broadcasting has the potential to
provide a more reliable and robust radio
signal than analog, as well as auxiliary
digital services.
DATES: Comments may be filed on or
before March 9, 2020 and reply
comments may be filed on or before
April 6, 2020. Written comments on the
Paperwork Reduction Act proposed
information collection requirements
must be submitted by the public, Office
of Management and Budget (OMB), and
other interested parties on or before
March 9, 2020.
ADDRESSES: You may submit comments,
identified by MB Docket No. 19–311, by
any of the following methods:
• Federal Communications
Commission’s Website: https://
apps.fcc.gov/ecfs/. Follow the
instructions for submitting comments.
• Mail: Filings can be sent by hand or
messenger delivery, by commercial
overnight courier, or by first-class or
overnight U.S. Postal Service mail
(although the Commission continues to
experience delays in receiving U.S.
Postal Service mail). Commercial
overnight mail (other than U.S. Postal
Service Express Mail and Priority Mail)
must be sent to 9050 Junction Drive,
Annapolis Junction, MD 20743. U.S.
SUMMARY:
PO 00000
Frm 00003
Fmt 4702
Sfmt 4702
649
Postal Service First Class, Express, and
Priority mail must be addressed to 445
12th Street SW, Washington DC 20554.
All filings must be addressed to the
Commission’s Secretary, Office of the
Secretary, Federal Communications
Commission.
• People With Disabilities: Contact
the FCC to request reasonable
accommodations (accessible format
documents, sign language interpreters,
CART, etc.) by email: FCC504@fcc.gov
or phone: 202–418–0530 or TTY: 888–
835–5322.
For detailed instructions for submitting
comments and additional information
on the rulemaking process, see the
SUPPLEMENTARY INFORMATION section of
this document.
FOR FURTHER INFORMATION CONTACT:
James Bradshaw, Deputy Division Chief,
Media Bureau, Audio Division (202)
418–2739; Christine Goepp, Attorney
Advisor, Media Bureau, Audio Division,
(202) 418–7834. For additional
information concerning the Paperwork
Reduction Act (PRA) information
collection requirements contained in
this document, contact Cathy Williams
at 202–418–2918, or via the internet at
Cathy.Williams@fcc.gov.
SUPPLEMENTARY INFORMATION: This is a
summary of the Commission’s Notice of
Proposed Rulemaking (NPRM), MB
Docket Nos. 19–311, 13–249; FCC 19–
123, adopted on November 22, 2019,
and released on November 25, 2019.
The full text of this document will be
available for public inspection and
copying via ECFS, and during regular
business hours at the FCC Reference
Information Center, Portals II, 445 12th
Street SW, Room CY–A257,
Washington, DC 20554. The full text of
this document can also be downloaded
in Word or Portable Document Format
(PDF) at https://www.fcc.gov/ndbedp.
Initial Paperwork Reduction Act of
1995 Analysis
The NPRM in document FCC 19–123
seeks comment on proposed rule
amendments that may result in
modified information collection
requirements. If the Commission adopts
any modified information collection
requirements, the Commission will
publish another notice in the Federal
Register inviting the public to comment
on the requirements, as required by the
Paperwork Reduction Act, Public Law
104–13; 44 U.S.C. 3501–3520. In
addition, pursuant to the Small
Business Paperwork Relief Act of 2002,
the Commission seeks comment on how
it might further reduce the information
collection burden for small business
concerns with fewer than 25 employees.
E:\FR\FM\07JAP1.SGM
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Agencies
[Federal Register Volume 85, Number 4 (Tuesday, January 7, 2020)]
[Proposed Rules]
[Pages 647-649]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-27573]
========================================================================
Proposed Rules
Federal Register
________________________________________________________________________
This section of the FEDERAL REGISTER contains notices to the public of
the proposed issuance of rules and regulations. The purpose of these
notices is to give interested persons an opportunity to participate in
the rule making prior to the adoption of the final rules.
========================================================================
Federal Register / Vol. 85, No. 4 / Tuesday, January 7, 2020 /
Proposed Rules
[[Page 647]]
FARM CREDIT ADMINISTRATION
12 CFR Part 620
RIN 3052-AD37
District Financial Reporting
AGENCY: Farm Credit Administration.
ACTION: Proposed rule.
-----------------------------------------------------------------------
SUMMARY: The Farm Credit Administration (FCA, we, or our) proposes
amending the regulation governing how a Farm Credit bank presents
information on its related associations when preparing annual bank
financial statements on a stand-alone basis. We propose to provide an
additional presentation option that would allow the related association
financial information to be in a supplement.
DATES: You may send us comments on or before March 9, 2020.
ADDRESSES: We offer a variety of methods for you to submit comments.
For accuracy and efficiency reasons, commenters are encouraged to
submit comments by email or through FCA's website. As facsimiles (fax)
are difficult for us to process and achieve compliance with section 508
of the Rehabilitation Act, we are no longer accepting comments
submitted by fax. Regardless of the method you use, please do not
submit your comment multiple times via different methods. You may
submit comments by any of the following methods:
Email: Send us an email at [email protected].
FCA website: https://www.fca.gov. Click inside the ``I want
to . . .'' field near the top of the page; select ``comment on a
pending regulation'' from the dropdown menu; and click ``Go.'' This
takes you to an electronic public comment form.
Mail: Barry F. Mardock, Deputy Director, Office of
Regulatory Policy, Farm Credit Administration, 1501 Farm Credit Drive,
McLean, VA 22102-5090.
You may review copies of comments we receive at our office in
McLean, Virginia, or on our website at https://www.fca.gov. Once you are
on the website, click inside the ``I want to. . .'' field near the top
of the page; select ``find comments on a pending regulation'' from the
dropdown menu; and click ``Go.'' This will take you to the Comment
Letters page where you can select the regulation for which you would
like to read the public comments. We will show your comments as
submitted, but for technical reasons we may omit items such as logos
and special characters. Identifying information that you provide, such
as phone numbers and addresses, will be publicly available. However, we
will attempt to remove email addresses to help reduce internet spam.
FOR FURTHER INFORMATION CONTACT:
Technical information: Joi Neal, Senior Accountant, Office of
Regulatory Policy, (703) 883-4223, TTY (703) 883-4056.
Legal information: Laura McFarland, Senior Counsel, Office of
General Counsel, (703) 883-4020, TTY (703) 883-4056.
SUPPLEMENTARY INFORMATION:
I. Objective
The objective of the proposed rule is to improve shareholder access
to district financial information by providing an additional method of
presenting financial information on a bank's related associations to
those banks preparing annual financial statements on a stand-alone
basis.
II. Background
FCA regulation Sec. 620.2(g) currently provides a Farm Credit bank
with two alternatives for reporting information on its related
associations within the bank's Annual Report to Shareholders. The first
alternative, located in Sec. 620.2(g)(1), allows each bank to issue a
combined or consolidated report on the Farm Credit bank and its related
associations. This presentation requires using a footnote disclosure
that summarizes the bank's ``stand-alone'' balance sheet and income
statement. The second alternative, located in Sec. 620.2(g)(2), allows
issuance of a bank's annual financial statements on a stand-alone
basis, where limited financial information on the bank's related
associations is placed in a footnote. This footnoted information may be
unaudited but must include a condensed statement of condition and
statement of income for the related associations. The Sec. 620.2(g)(2)
alternative was primarily added to the regulation in recognition of the
creation of the Agricultural Credit Bank (ACB).\1\ There is only one
ACB in the System and it has both association stockholders and
cooperative entity stockholders, requiring special consideration in
reporting presentations to ensure the two groups of stockholders
understand the information being disclosed.
---------------------------------------------------------------------------
\1\ The ACB structure resulted from the merger of the Title III
Banks for Cooperatives and a Farm Credit Bank, resulting in the
merged entity known as CoBank, ACB.
---------------------------------------------------------------------------
When adding the Sec. 620.2(g)(2) alternative in 1997, FCA
explained that because both methods of presenting combined bank and
related association financial information were consistent with
Generally Accepted Accounting Principles (GAAP) provisions at the time,
FCA made both alternatives available to all the banks.\2\ However,
whichever presentation is used, it must both comply with GAAP and
provide the most meaningful disclosure to shareholders. Thus, each year
Farm Credit banks may select from either reporting presentation when
issuing their annual reports as long as it complies with GAAP and
serves to provide the most meaningful disclosure to bank shareholders.
---------------------------------------------------------------------------
\2\ See 62 FR 15089, March 31, 1997.
---------------------------------------------------------------------------
In November 2018, all four of the Farm Credit banks jointly
requested that FCA amend Sec. 620.2(g)(2) by allowing disclosure of
related association financial information in a separate supplement to a
bank's Annual Report to Shareholders instead of through use of a
footnote within the annual report. We evaluated the merits of the
banks' request and concluded permitting use of a supplement instead of
a footnote in a bank's Annual Report to Shareholders could be
beneficial so initiated this rulemaking. Nothing in this proposed
rulemaking affects quarterly reporting requirements.
III. Section-by-Section Analysis
FCA has consistently stated that the relationship between a bank
and its related associations is an important one that warrants
discussion in the financial statements and reports provided by the
banks. Further, we believe that a bank's shareholders need financial
information not just on the bank but also on the
[[Page 648]]
bank's related associations to properly evaluate the operations and
financial position of the district which the bank funds.
A. Use of a Supplement When Issuing Bank-Only Annual Financial
Statements
We propose revising Sec. 620.2(g)(2) to allow a Farm Credit bank
to use either a footnote or a supplement to provide financial
information on its related associations when preparing the bank's
annual financial statements on a stand-alone basis. Specifically, we
propose adding regulatory language to Sec. 620.2(g)(2) that would
allow Farm Credit banks issuing the bank's financial statements on a
stand-alone basis within its Annual Report to Shareholders to provide
financial information on their related associations either through
footnote or a supplement if such a presentation is both allowable under
GAAP and serves as the most meaningful disclosure presentation for the
bank's shareholders. We believe permitting use of a supplement could
facilitate shareholders locating and understanding district
information. However, to preserve flexibility in how the annual report
of a bank is presented, we are not proposing to remove the existing
method of reporting information on a bank's related associations within
a footnote.
As proposed, all information provided through use of either a
footnote or a supplement would still be considered part of the bank's
annual report and therefore subject to the same accuracy, distribution,
and internal control requirements of the annual report itself. We are
proposing language specifying this to ensure the use of a supplement is
not considered a separate, financial report. Further, we are
specifically proposing that if a supplement presentation is used, it be
distributed along with the bank's annual report. We do not believe
allowing separate distribution of the supplement would achieve the
stated purpose of facilitating shareholder comprehension of the
financial condition of the bank and its district operations, including
those of its related associations. All the financial information needs
to be available to shareholders at the same time to accomplish that
goal. Also, we believe the proposed requirement to have the supplement
distributed along with the annual report information that it addresses
will have little financial consequence to the bank's annual report
distribution costs. A Farm Credit bank using the Sec. 620.2(g)(2)
presentation method is allowed under FCA regulation Sec. 620.4(b)(1)
to distribute its annual report exclusively through website postings,
absent a significant event posing a material effect on the bank's
related associations.\3\
---------------------------------------------------------------------------
\3\ See 66 FR 14299, dated March 12, 2001.
---------------------------------------------------------------------------
We also propose that if a supplement is used that the supplement be
referenced within the body of the bank's annual report. We propose
requiring a reference to the supplement within the annual report to
ensure shareholders know where the additional information is available.
We believe this proposed requirement is in keeping with recognizing the
supplement is a part of the annual report and, just as the report would
direct the reader to a footnote or appendix, it should direct the
reader to the supplement.
B. Reporting District Information When Issuing Bank-Only Annual
Financial Statements
We propose adding language to Sec. 620.2(g)(2) that the summary
financial information on associations included as part of the bank's
annual report be presented on a combined basis with the bank's
information. FCA believes that shareholder and investors use the
combined financial information to evaluate the operations and financial
position of the district. Proposed changes to Sec. 620.2(g)(2) would
facilitate this use by requiring combined financial information of each
bank and its related associations. Although the supplemental district
information required by Sec. 620.2(g)(2) is not a full set of
financial statements, we believe the proposed condensed statements will
provide information that is meaningful to stakeholders and investors,
without providing the extensive detail captured in the Systemwide
audited reports.
We are also proposing language to clarify that the current Sec.
620.2(g)(2) option for banks to issue the related associations'
financial information on an unaudited basis extends to all the
financial information provided for the related associations, whether in
a footnote or the proposed supplement. Currently, some may believe only
the condensed statements of income and condition named in the rule text
may be unaudited. It is our intent that the proposed language removes
any perceived ambiguities in the existing rule text of Sec.
620.2(g)(2) regarding which information may be unaudited. This
clarification would not affect the existing requirement that the
footnote or the proposed supplement disclose the basis of presentation
if different from the presentation of the bank-only annual financial
statements.
Additionally, we propose amending the Sec. 620.2(g)(2) regulatory
text to emphasize that the financial information provided by a bank on
its related associations (when preparing annual bank financial
statements on a stand-alone basis) is not limited to the named
condensed statements of income and condition. We propose this change
because we believe additional information is, and should be, provided
as part of the bank's annual report. Examples of district information
that we would expect to see in either the footnote or proposed
supplement of a bank's annual report include, but are not limited to,
the following:
The nature of business relationships between System
entities within the bank's district;
Summary of District financial information for the
preceding three years;
Summary of district loan portfolio, discussing
concentration risks and significant changes in credit quality,
nonperforming assets, past due loans, loan loss allowance and reserves,
and loan aging analysis within the district as compared to previous
years.
A description of combined association investments;
Districtwide capital levels and regulatory ratios;
Summary of key districtwide income statement line items
and profitability measures; and
A description of any qualified and nonqualified
districtwide defined pension plan(s), including each plan's current
funding status, accrued benefit obligation and projected benefit
obligation, and key actuarial assumptions.
We believe the proposed change, along with the above list of items,
will provide meaningful transparency on the financial condition of each
Farm Credit District.
IV. Regulatory Flexibility Act
Pursuant to section 605(b) of the Regulatory Flexibility Act (5
U.S.C. 601 et seq.), FCA hereby certifies that the proposed rule would
not have a significant economic impact on a substantial number of small
entities. Each of the banks in the System, considered together with its
related associations, has assets and annual income in excess of the
amounts that would qualify them as small entities. Therefore, System
institutions are not ``small entities'' as defined in the Regulatory
Flexibility Act.
[[Page 649]]
List of Subjects in 12 CFR Part 620
Accounting, Agriculture, Banks, banking, Reporting and
recordkeeping requirements, Rural areas.
For the reasons set forth in the preamble the FCA proposes to amend
12 CFR part 620 as follows:
PART 620--DISCLOSURE TO SHAREHOLDERS
0
1. The authority citation for part 620 is revised to read as follows:
Authority: Secs. 4.3, 4.3A, 4.19, 5.9, 5.17, 5.19 of the Farm
Credit Act (12 U.S.C. 2154, 2154a, 2207, 2243, 2252, 2254); sec. 424
of Pub. L. 100-233, 101 Stat. 1568; sec. 514 of Pub. L. 102-552, 106
Stat. 4102.
Subpart A--General
0
2. Amend Sec. 620.2 by revising paragraph (g) to read as follows:
Sec. 620.2 Preparing and filing reports
* * * * *
(g) Each Farm Credit institution shall present its reports in
accordance with generally accepted accounting principles and in a
manner that provides the most meaningful disclosure to shareholders.
(1) Any Farm Credit institution that presents its annual and
quarterly financial statements on a combined or consolidated basis
shall also include in the report the statement of condition and
statement of income of the institution on a stand-alone basis. The
stand-alone statements may be in summary form and shall disclose the
basis of presentation if different from accounting policies of the
combined or consolidated statements.
(2) Any Farm Credit bank that prepares its annual financial
statements on a stand-alone basis must also provide financial
information on its related associations as part of its annual report.
The information on the related associations must be presented on a
combined basis with the bank's financial information and, at a minimum,
include both a condensed statement of condition and a statement of
income. The combined bank and association financial information may
either be in the footnotes of the bank's annual report or located in a
supplement to the report. All combined information provided through
either a footnote or a supplement will be considered part of the bank's
annual report, subject to the same annual report preparation,
distribution, and accuracy requirements of part 620.
(i) The combined bank and association financial information may be
unaudited but must disclose the basis of presentation if different from
accounting policies used for the bank-only financial statements.
(ii) If the combined bank and association financial information is
presented in the form of a supplement, the supplement must be
referenced within the bank's annual report and accompany the annual
report when distributed.
* * * * *
Dated: December 17, 2019.
Dale Aultman,
Secretary, Farm Credit Administration Board.
[FR Doc. 2019-27573 Filed 1-6-20; 8:45 am]
BILLING CODE 6705-01-P