Technical vs. accounting
The technical community (e.g., engineers, facilities managers, andExamples
An example of deferred maintenance for a household would be putting off the recommended 1-year checkup on one's car, or putting off the repairs recommended at that checkup: the car will not run as smoothly or efficiently and will be more likely to break down or crash. The term is usually used in the context of large organizations or governments, however. Maintenance competes for funding with other programs and is often deferred because appropriations are not available or were redirected to other priorities or projects. Deferred maintenance is often not immediately reported—and sometimes, not at all. Maintenance which is deferred because of insufficient funding may result in increased safety hazards, poor service to the public, higher costs in the future, and inefficient operations. On May 11, 2011 the Chairman of the Federal Accounting Standards Advisory Board (FASAB), Tom Allen, announced that the FASAB issued Statement of Federal Financial Accounting Standards (SFFAS) 40, Definitional Changes Related to Deferred Maintenance and Repairs: Amending Statement of Federal Financial Accounting Standards 6, Accounting for Property, Plant, and Equipment. SFFAS 40 represents a first step toward improved reporting on deferred maintenance and repairs. The Board is working, and will continue to work, closely with stakeholders interested in improved reporting on deferred maintenance and repairs. By addressing definitional issues as a first step, the Board will facilitate continued cooperation. Two areas in need of improvement relate to (1) the lack of comparability when assessing asset condition both within and among agencies and (2) measurement and reporting practices that vary greatly among agencies. These issues arise—in part—due to agencies having differing interpretations regarding the definition of “deferred maintenance” in SFFAS 6. “Redefining the term ’maintenance’ to include repair activities and better reflect asset management practices is an initial step in resolving the problems noted,” according to Chairman Allen. “However, the Board also plans to address measurement and reporting issues through continued consultation with stakeholders which could lead to the issuance of additional guidance and/or standards. In December 2011 FASAB finalized statement of federal financial accounting standard #42, (SFFAS 42) amending existing standards regarding the measurement and reporting of deferred maintenance and repairs (DM&R). The principal changes in this SFFAS require federal entities to (1) describe the policies over maintenance and repairs (M&R) and the prioritization of M&R activities, (2) identify factors considered in determining acceptable condition standards, (3) identify the general property, plant and equipment (PP&E) and stewardship PP&E to which DM&R relates and provide the rationale for PP&E that may be excluded, (4) provide DM&R balances by category of PP&E, and (5) explain significant changes from the prior year.Submission
Pursuant to the FASAB Rules and Procedures, the proposed Statement has been submitted concurrently to the Director of the Office of Management and Budget, the Comptroller General, and the Secretary of the Treasury for a 90-day review. FASAB will announce it as a final FASAB Statement after the expiration of both review periods, unless otherwise informed within each of the respective review periods. The standards included in the Statement will be effective for fiscal periods beginning after September 30, 2014.See also
*References
* SFFAS 40, Issued May 2011 U.S. Federal Accounting Standards Advisory Board. * SFFAS 42, As of January 20102, pending Congressional and Principal review. {{DEFAULTSORT:Deferred Maintenance Maintenance