06.11.09. We're finally figuring out how to measure the amount of carbon
captured in trees, but how do we account for forestry credits once
we've purchased or generated them? Companies have to agree on an answer
if forestry credits are to attract the kind of value that will foster
meaningful change. That's not happening, however – and this new report
examines various solutions on the table.
4 November 2009 | A house is a house, a share is a
share, and an pile of corn is a pile of corn. Companies that own these
can note them in their books and turn their books over to accountants,
who can convert them into measurable assets, which can make it easier
to understand the company's value, risk exposure, and overall strategy.
Various entities such as the US Financial Accounting Standards Board
(FASB) and the International Accounting Standards Board (IASB) have
come up with uniform accounting principles like the Generally Accepted
Accounting Principles (GAAP) and the International Accounting Standards
(IAS) that help companies around the world put their books into similar
order so that everyone can understand them.
Unfortunately, neither entity has come up with uniform accounting principles for forest carbon credits, and that makes it nearly impossible to fairly compare financial statements across entities such as project developers.
Entities also struggle with the time and resources required to
determine the most appropriate accounting treatment, and this
difficulty is exacerbated when an organization follows both GAAP and
IAS. Until accounting guidance is issued, difficulty regarding
information transparency and comparability will persist.
Learning from the Compliance Market
In May 2007, PricewaterhouseCoopers (PwC) and the International Emissions Trading Association (IETA) released a survey of 26 major European organizations affected by the EU Emissions Trading Scheme (ETS).
The survey looked at the accounting approaches for ETS allowances and
Certified Emission Reductions (CERs), both acquired and self-generated.
Although the study relates to the EU compliance market, its findings
may provide insight for the voluntary market. Specifically, findings on
self-generated emissions reductions may reflect similar trends and
issues as those encountered by entities in the voluntary forestry
carbon market.
The survey found that on the balance sheet, 29% of participants
accounted for self-generated CERs as inventory upon generation, at an
allocated cost of production; 13% recorded the CERs as intangible fixed
assets, at fair value; 29% did not recognize the CERs until they were
used/sold; and 29% used other treatments. The decision not to recognize
CERs until they are used/sold may suggest that the organization
anticipates no future economic benefits from the offsets. For the
purpose of this paper, however, we assume classification of offsets as assets. This may be consistent with existing guidance.
According to IASB, an asset "is a resource controlled by the entity as
a result of past events and from which future economic benefits are
expected to flow to the entity". FASB similarly defines an asset as
"probable future economic benefits obtained or controlled by a
particular entity as a result of past transactions or events".
Whether the offset is sold pre-verification or ex-post, money exchanges
hands in return for offset ownership rights. A buyer may bank and later
sell forestry offsets or use them to settle compliance or
pre-compliance emissions obligations. Accordingly, forestry offsets may
qualify as assets for financial accounting purposes because they are
entity controlled and provide future economic benefits.
Methods in the Standards
Despite the lack of clear rules, various accounting methods applicable to offsets are present in existing standards under IAS and U.S. GAAP. With the assumption that forestry offsets are classified as assets, we focus on the two remaining accounting treatments found in the survey: inventory and intangible assets. In determining the appropriate accounting for forestry carbon offsets, considering their character is imperative. The use of the offsets determines their nature, which in turn dictates how they should be classified in the financial statements.
Forestry carbon offsets can be classified in the financial statements
as either inventory or intangible assets. The offsets can be held at
fair value, net realizable value, or cost. Fair value and net
realizable value are based on market prices; however, without an active
market for the offsets, it may be prudent to record them at cost. This
value is either what an entity purchases its offsets for or the cost
the entity incurs to manufacture the offsets. If an entity self
generates offsets, it may use cost accounting to arrive at a unit cost
regardless of classification as inventory or intangible assets. This
unit cost is the amount recorded on the balance sheet and eventually
expensed on the income statement when the offsets are sold.
Fuente: Ecosystem








