ASIC: Accounting Standards Implementation Committee

SFFAS 49, Public-Private Partnerships, Implementation

For questions about this project, email p3s@fasab.gov.

Request for CommentDue DateWord Version of questions for RespondentsComment LettersFinal Pronouncements
Implementation Guidance for Public-Private Partnerships (PDF)June 30, 2025Word Version of Questions for Respondents (Download)Comment LettersN/A – Currently Under Due Process

Project Objective

FASAB issued SFFAS 49, Public-Private Partnerships, on April 27, 2016, and concluded the first phase of the project. The second phase of the project will address measurement and recognition of P3s. Based on the staff’s work with the P3 task force, the Board agreed to develop implementation guidance in the form of a technical release to assist preparers and auditors with implementing and complying with the SFFAS 49 disclosure requirements.

Project History

May 16, 2025

The Accounting Standards Implementation Committee (ASIC) released for public comment the exposure draft of a proposed Federal Financial Accounting Technical Release (TR) titled Implementation Guidance for SFFAS 49, Public-Private Partnerships.

This proposed TR would assist reporting entities in implementing Statement of Federal Financial Accounting Standards (SFFAS) 49, Public-Private Partnerships: Disclosure Requirements. Since its issuance on April 27, 2016, practitioners have identified implementation challenges concerning SFFAS 49. As a result, this TR would provide implementation guidance regarding those challenges. This would ensure that integrated information is provided through concise, meaningful, and transparent disclosures, disclosures are not duplicative, and financial reporting objectives are met while mitigating preparer burden.

Additionally, this proposed TR may serve as an acceptable analogy for other Statements in addition to the Statements addressed by the TR. Therefore, while this implementation guidance would not specifically address other types of federal activities, such as direct loans or loan guarantees, the Committee believes that reporting entities could consider this proposed TR when applying SFFAS 34, The Hierarchy of Generally Accepted Accounting Principles, Including the Application of Standards Issued by the Financial Accounting Standards Board, to other types of P3 arrangements or transactions.

Comments on the ED are requested by June 30, 2025.

March 2025

ASIC members approved the pre-ballot exposure draft with minimal changes shortly followed by an approved ballot now subject to the Board’s review.

January 2025

Staff continues incorporating Committee comments and suggestions provided at the November 2024 meeting. The Committee will review another revised draft prior to moving forward to a pre-ballot and then ballot. If the ballot is approved by the Committee, the exposure draft proposal would then be submitted to FASAB for review.

November 2024

At the November 2024 meeting, the Committee reviewed a revised draft Technical Release exposure draft.

Some key revisions include

  • providing a broad principle for dealing with the overlap of public-private partnership disclosure requirements with reporting and disclosure requirements of other standards;
  • enhancing the guidance related to the coordination of disclosures due to other requirements;
  • proposing that under consolidation accounting, the reporting entity is treated as a single economic entity and, thus, SFFAS 49, Public-Private Partnerships, disclosures would not apply; and
  • adding an appendix that includes the side-by-side disclosure requirements for SFFAS 49, SFFAS 47, Reporting Entity, and SFFAS 54, Leases.

Members suggested improvements to several areas of the document and the Committee chair stated that staff would begin moving towards a draft pre-ballot to share with the Committee once all edits and revisions have been addressed by staff.

November 20, 2024

At the November 20 meeting, the Accounting and Auditing Policy Committee (AAPC or “the Committee) reviewed a revised draft Technical Release.

Some key revisions include

  • providing a broad principle for dealing with the overlap of public-private partnership disclosure requirements with reporting and disclosure requirements of other standards;
  • enhancing the guidance related to the coordination of disclosures due to other requirements;
  • proposing that under consolidation accounting, the reporting entity is treated as a single economic entity and, thus, SFFAS 49, Public-Private Partnerships, disclosures would not apply; and
  • adding an appendix that includes the side-by-side disclosure requirements for SFFAS 49, SFFAS 47, Reporting Entity, and SFFAS 54, Leases.

Members suggested improvements to several areas of the document and the AAPC chair stated that staff would begin moving towards a draft pre-ballot to be shared with the Committee once all edits and revisions have been addressed by staff.

Briefing Materials – Topic A

August 1, 2024

At the August 1 meeting, the Committee reviewed a draft Technical Release document
and suggested improvements to (1) the flowchart when addressing consolidated
entities that also meet the SFFAS 49 P3 definition and (2) the proposed question and
answer concerning alignment of disclosures considering that SFFAS 49 is a
supplemental Statement. The AAPC chair moved to further discuss the draft P3
implementation guidance at a future meeting. In the meantime, staff will (1) work with
members to make the updates suggested during the meeting and (2) consider if some
issues identified by the task force are better suited for Board deliberations (that is, the
issuance of level A or B GAAP guidance).

Briefing Materials – “Topic B

May 8, 2024

On May 8th, staff, along with several task force members briefed the AAPC regarding the Board’s decision to issue implementation guidance in the form of a Technical Release.

Specifically, the proposed questions and answers and flowchart were presented for review. The following key AAPC comments were made:

  • Misconceptions regarding materiality may be contributing to presumptions of under- reporting. The Board approved addressing remote risk and materiality through training and outreach given the complexity in assessing risk and the Board’s long-standing practice concerning materiality.
  • Removing the case studies and treating them as educational materials not only simplifies the draft guidance but avoids an inappropriate reliance on complex illustrations.
  • It’s difficult to say that an entity has captured all of its P3s because program personnel are dealing with public-private partnerships that the financial personnel are unaware exist.
  • Financial reporting should build bridges to program managers who have more of an understanding as to the agreements existing with private industry. Different definitions for P3s exist and the draft guidance will assist preparers in identifying the types of agreements that meet the SFFAS 49 criteria.
  • Risk to the federal government may not be reported because of the FASAB P3 definition or application of the risk-based characteristics, or materiality. Remote risks may be best reported in RSI. P3 risks are not limited to financial risks, but entities also share reputational risks and programmatic risks. Risks should be reviewed wholistically and not isolated to the conclusive or suggestive characteristics.
  • Usefulness of current disclosures to users should be considered. The draft guidance will be helpful addressing implementation issues even concerning leases.
  • The Board’s approach concerning harmonizing SFFAS 49 to SFFAS 47 requires greater clarity in the draft guidance via additional Q&As.
  • In some cases, auditors are issuing notice of findings and recommendations (NFRs) regarding measurement and recognition matters.
  • Ascertain if any of the SFFAS 49 reporting requirements could be treated as a contingent liability.

At the conclusion of the discussion, staff summarized its next steps with which the Committee generally agreed. Staff will work with the AAPC to (1) further develop and explain the flowchart instructions (e.g., adopting a waterfall approach); (2) include additional Q&As concerning what we mean by harmonization; (3) incorporate an exposure draft question for respondents concerning continent liabilities guidance and its relationship to SFFAS 49.