Specific issues that were brought to the attention of the IASB by many different letter writers included a lack of clarity in the ultimate specific purpose of the proposed amendments, remaining confusion regarding the definition of specific terms and the recording of very specific classes and sets of obligations and situations, and the fact that present-day valuations for many obligations and liabilities that fall under IAS 37 were probably entirely inaccurate, as these liabilities would be discharged when they became due (IASB 2010). In general, these issues were more specific than those cited with Exposure Draft #1.
Given the specific issues that were raised in the comment letters to Exposure Draft #2 as well as the trend that exists in a comparison of the comment letters moving from Exposure Draft #1 to Draft #2, the adjustment that will likely be made in Exposure Draft #3 are fairly easy to predict. There will need to be a greater clarification and definition of language, especially with terms such as "settle" that do not necessarily refer to any specific action or set of actions, and the various classes of obligations and liabilities that have received proposed changes in the amendments will also need to be more concretely defined. It is also expected that certain major changes in accounting and reporting methods, such as the current valuation of future liabilities, will either be eliminated or will be mitigated by some sort of special measure that reflects the changing valuation of the given liability or obligation. This will put the amendments more in keeping with the international community's desires.
Personal Comment and Reflection
Despite their lack of clarity and the existence of a few redundancies and other issues, the proposed amendments definitely bring a positive change to the existing standards. The valuation of non-financial future...
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