FASB Addresses Option Pricing Models and “Out of the Money” Stock Options
September 10, 2004
Mark A. von Bergen- Portland
David Wang - Portland
This is an update to the Public Companies Alert published by Holland & Knight
on August 24, 2004. We will issue additional alerts on this topic as events
unfold.
At its September 1, 2004 board meeting, the Financial Accounting Standards
Board (FASB) addressed the topics of option pricing models and “out of the
money” stock options.
FASB Drops Stated Preference for “Lattice Model”
In its March 2004 statement titled “Share-Based Payment: an amendment of
FASB Statements No. 123 and 95,” FASB proposed that companies expense the fair
value of stock options and other equity awards to employees. To estimate the
fair value of such awards, FASB recommended (but did not explicitly require)
that companies utilize a “lattice model” instead of closed-form option pricing
models such as the Black-Scholes formula. According to the FASB proposal, “a
lattice model is preferable because it offers the greater flexibility needed to
reflect the unique characteristics of employee share options and similar
instruments.”
At its September 1, 2004 board meeting, FASB reversed course. Heeding a
warning from its staff members that “some accounting firms have told their
clients that the explicit preference for a lattice [model] is effectively a
requirement,” the board tentatively decided to eliminate stated preferences from
its proposal. According to at least one of the board members, because there
likely will be an “evolution in the methods that we use to estimate fair value,”
FASB should be wary of adopting policies that might inhibit such development in
the future. Other board members agreed that a policy requiring (or even
expressing a preference for) use of a particular type of pricing model would
effectively close the door on future option pricing models that might in fact
prove more robust and, hence, preferable to those that currently exist.
If this recent modification is adopted in FASB’s final statement, companies
likely will remain free to continue using Black-Scholes (or other option pricing
models of their choice) in order to meet the anticipated stock option expensing
requirements, so long as the model(s) chosen meet certain qualitative criteria
described in the FASB proposal.
FASB Stands Firm on “Out of the Money” Stock Options
At the same meeting, FASB refused to exclude or give special treatment to
“out of the money” stock options. An option is “out of the money” when its
exercise or strike price is greater than the current market value. Critics
argue that the FASB proposal will force companies to record expenses for
outstanding stock options that are unlikely ever to be exercised. FASB was not
swayed by these arguments.
For more information e-mail Mark von Bergen or David Wang at
mark.vonbergen@hklaw.com or
david.wang@hklaw.com, respectively, or
call toll free, 1-888-688-8500.