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FRS 102 for leaders – in plain English Financial Reporting Standard 102 (FRS 102) heralds the biggest change in UK financial reporting for a generation. FRS 102 sweeps aside existing accounting rules, moving to a framework based more on standardised, international rules for accounting periods starting on or after 1 January 2015. The Housing Statement of Recommended Practice (SORP) was issued 2014 to provide essential guidance for finance directors to interpret FRS 102 in a social housing setting. However, FRS 102 offers housing associations a series of accounting choices that can have a significant impact on the measure of performance balances and net balances. For example: - allocation of capital grant and the method used to calculate depreciation - the extent to which items are written off as revenue expenditure or capitalised in the balance sheet and - perhaps most significant of all, the policies selected to account for financial instruments - accounting for restructured loans could create some significant differences. Furthermore, the accounting policies selected could make it challenging for unsophisticated readers of housing association accounts to draw comparisons either: - between different housing associations or - prior year performances. The challenge for leadership teams will be to understand whether the application of FRS 102 will impact on stakeholder perceptions of the business, and if so how best to manage those perceptions. Audit committees will need to look beneath the headline numbers to understand what is happening in the business and what the numbers are saying to ensure that any changes are not being masked by changes in accounting policy. One constant is that cash is king, which puts the relevance of non-cash accounting changes into some context. For boards, cashflow reporting will become much more important, particularly where surpluses rise as a result of the move to adopt FRS 102. Banks too need to make sense of these changes to ensure that housing associations continue to comply with loan covenants. Because of the advent of FRS 102, lenders and housing associations have been, and are, busily renegotiating loan covenants to recalibrate loan covenants for consistency with FRS 102 accounts which appear so very different. Housing associations which have not already done so, may need at some point to reformat budgets and management accounts for consistency with the FRS 102 audited accounts as well, in time, regulatory financial returns should housing regulators remodel them for consistency with FRS 102. For more detailed guidance on these changes or on housing finance for non-experts more generally, refer to the Federation’s publication Finance Demystified.