Nonpublic companies get FIN 48 reprieve from FASB
The formal deferral extension will be set forth in a FASB Staff Position that will be issued in exposure form for the 30-day deferral period.
The PCFRC worked to delay the FIN 48 effective date because it was concerned that many nonpublic entities and their CPA practitioners were not fully aware of the implications of FIN 48. These entities and practitioners have not had the necessary time to understand and apply the guidance required by FIN 48 before its effective date, according to an AICPA news update  issued last week. In addition, many nonpublic entities and their CPA practitioners learned late in the process that FIN 48 does apply to pass-though entities. Given these circumstances, the AICPA believes a deferral of the effective date for nonpublic entities is a tremendous help to private companies and their CPA practitioners. The deferral will provide more time to prepare and implement FIN 48. Moreover, the additional time will provide an opportunity for guidance on how FIN 48 affects pass-through entities to be made available.
The PCFRC has its roots in the 2005 AICPA PCFR Task Force and a May 2006 AICPA Council Resolution. In June 2006, the FASB and the AICPA issued a joint proposal which, among other things, led to the formation of the PCFRC.