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Section 9 – Financial Instruments

Section 9 deals with the recognition, derecognition and measurement criteria of all financial instruments including investments in subsidiaries, associates and joint ventures. It also details the indicators or impairment for financial assets that are classed as financial instruments.

The section covers all financial assets and liabilities other than those stated in Section 9.3 below. Examples of financial instruments covered include:

  1. cash;
  2. accounts receivable and payable (trade debtors and creditors);
  3. commercial paper and commercial bills held;
  4. all types of bank accounts;
  5. bonds, loans and similar instruments regardless of the terms;
  6. loans receivable/payable regardless of terms
  7. investments of all kind (in shares, long term loans etc.);
  8. investment in listed shares, collective investment funds
  9. investment in subsidiary, associate or joint ventures (jointly controlled entities)
  10. options, warrants, futures contracts, forward contracts and interest rate swaps
  11. accrued income
  12. preference shares which are classified as a liability under Section 17 of FRS 105

Scope and definition of financial asset and liability
Extract from FRS 105 – Section 9.4 & Extract from Glossary to FRS 105

Section 9.3 clarifies that this section does not apply to the following financial instruments:

  1. Financial instruments that meet the definition of a micro-entity’s own equity, and the equity component of compound financial instruments issued by the  reporting micro-entity that contain both a liability and an equity component (see Section 17 Liabilities and Equity).
  2. Leases, to which Section 15 Leases applies. However, the derecognition requirements in paragraphs 9.21 to 9.23 and impairment accounting requirements in paragraphs 9.16 to 9.19 apply to derecognition and impairment of receivables recognised by a lessor and the derecognition requirements in paragraphs 9.25 and 9.26 apply to payables recognised by a lessee arising under a finance lease.
  3. Employers’ rights and obligations under employee benefit plans, to which Section 23 Employee Benefits applies.
  4. Financial instruments, contracts and obligations to which Section 21 Share-based Payment applies.
  5. Reimbursement assets and financial guarantee contracts accounted for in accordance with Section 16 Provisions and Contingencies.
  6. Contracts for contingent consideration in a business combination (see Section 14 Business Combinations and Goodwill). This exemption applies only to the acquirer.
Extract from Glossary to FRS 105 –  A financial asset is any asset that is:

A financial liability is any liability that is:


OmniPro comment

Based on the above definitions the below items are not considered to be financial instruments for the purposes of this section:

The below items are financial instruments for the purpose of Section 9:

  1. cash;
  2. accounts receivable and payable (trade debtors and creditors);
  3. commercial paper and commercial bills held;
  4. all types of bank accounts;
  5. bonds, loans and similar instruments regardless of the terms;
  6. loans receivable/payable;
  7. investments of all kind (in shares, long term loans etc.);
  8. investment in listed shares, collective investment funds and any other type of investment;
  9. investment in subsidiary, associate or joint ventures (jointly controlled entities);
  10. options, warrants, futures contracts, forward contracts and interest rate swaps;
  11.   accrued income;
  12. preference shares which are classified as a liability under Section 17 of FRS 105;
  13. deposit accounts of all kinds

Initial recognition of financial assets and liabilities
Extract from FRS 105 – Section 9.4 – 9.7

9.4       A micro-entity shall recognise a financial asset or a financial liability only when the micro-entity becomes a party to the contractual provisions of the instrument.

Initial measurement

9.5       A financial asset or financial liability is recognised initially at its cost. The cost is measured at the transaction price.

Examples – Transaction price of a financial asset or liability

1    For a loan the transaction price is the amount borrowed or loaned.

2 For trade receivables or payables (trade debtors or trade creditors) the transaction price equals the invoice price unless payment is deferred beyond normal credit terms (see paragraph 9.6).

3    For an investment the transaction price is the consideration given (e.g. cash paid to acquire the investment).

4    For an option the transaction price is the premium paid to purchase the option.


OmniPro comment

Examples of the transaction price is as follows:

As can be see it is irrelevant what terms are included in relation to loans (i.e. whether interest is charged, whether it is repayable on demand or not etc.), in all instances the loan should initially be measured at the actual amount of the loans received or advanced in the financial statements (i.e. no need to discount at market rate etc.)


Payment deferred beyond normal credit terms
Extract from FRS 105 – Section 9.6

9.6       When a micro-entity purchases inventory, property, plant and equipment, investment property or sells goods or services with settlement                 deferred beyond normal credit terms, the transaction price is the cash price available on the date of the transaction (see Sections 10                     Inventories, 12 Property, Plant and Equipment and Investment Property and 18 Revenue respectively).

OmniPro comment

Where favourable terms have been received or given the purchase/sale and related creditor/debtor must be recognised at the cash price at the date of the transaction


Example 1: Transaction price when payment is deferred

A micro-entity sells goods to a customer for CU100. Customers are usually required to pay within 14 days of the invoice date, but the micro-entity agrees with the customer that payment will be deferred for one year. The micro-entity sells the same item for CU90, if payment is received within the usual credit terms.

The cash price for the goods and thereby the transaction price is CU90. Assume the credit term is over two months and the sale occurred at the start of the month.

The journals required at initial recognition and subsequently are:

 

CU

CU

Dr Debtors

90

 

Cr Turnover 

 

90

Being journal to recognise the sale at the cash price

 

CU

CU

Dr Debtors (CU100-CU90)/2mth*1mth

5

 

Cr Interest Income 

 

5

Being journal to release the interest income for month 1 so that the trade debtor balance increases to CU95 at the end of month one.


Example 2: Purchase with unusual credit terms
If we take example 1, and show the accounting for the purchaser in this case. For the purchasing company the journals to post are:

 

CU

CU

Dr Inventory

100

 

Cr Trade Creditors

 

100

Being journal to reflect purchase of stock at full price

 

CU

CU

Dr Trade Creditors

10

 

Cr Inventory

 

10

Being journal to reflect the deemed financing element of the sale so as to show the correct cost

 

CU

CU

Dr Interest Expense in P&L

(CU100/-CU10)2mths * 1 mth)

5

 

Cr Trade Creditors

 

5

Being journal reflect the deemed interest expense in the profit and loss for the one month.

 

CU

CU

Dr Interest Expense in P&L

(CU10/2mths * 1 mth)

5

 

Cr Trade Creditors

 

5

Being journal reflect the deemed interest expense in the profit and loss for the second month so as to show CU 100 at the time of payment.


Example 3: Sale with unusual credit terms – cash price not easily determined

Company A sold goods worth CU200,000 with unusual credit terms on 01/01/16.  The credit provided is for a period up to 31/12/20.  Assume the cash price could not be easily determined easily. In order to ascertain the cash price the company would present value the CU200,000 at a market rate of interest for loan of the same length. Assume for the purposes of this example that market rate of interest is 5%.

The present value is CU200,000 / (1.05)^5 =                  CU156,705

 

CU

CU

Dr Debtors

156,705

 

Cr Turnover 

 

156,705

Being journal to recognise the sale at the estimated cash price

 

CU

CU

Dr Debtors (CU200,000-CU156,705)/ 5 yrs

8,659

 

Cr Interest Income 

 

8,659

Being journal to release the interest income for year 1

 

CU

CU

Dr Debtors (CU200,000-CU156,705)/ 5 yrs

8,659

 

Cr Interest Income 

 

8,659

Being journal to release the interest income for year 2

Note the same type of journal will be recognised for years 3-5 so that the debtor balance is CU200,000 at the date of receipt 


Transaction costs

Extract from FRS 105 – Section 9.7 & 9.

9.7       Transaction costs shall be added to the cost of a financial asset or shall be deducted from the cost of a financial liability, unless they are                 not material in which case they are recognised immediately as an expense in profit or loss.

Examples – Transaction  costs

1 A micro-entity receives a bank loan of CU500. The bank charges CU5 in arrangement fees. The micro-entity determines that the transaction costs are immaterial and recognises them immediately in profit or loss as an expense. The cost of the loan is CU500.

2 A micro-entity is making an investment and buys shares in another entity for CU1,000. The micro-entity incurs legal fees and other transaction costs totalling CU100. The micro-entity determines that the transaction costs are material and includes them in the cost of the investment. The total cost of the investment is CU1,100.

3 A micro-entity takes out a forward foreign currency exchange contract and is charged a fee of CU30. The micro-entity determines that the transaction costs are material. The total cost of the forward foreign currency exchange contract is CU30.


9.15   
Transaction costs not immediately recognised in profit or loss in accordance with paragraph 9.7, are recognised in profit or loss on a straight-line basis over the term of the contract.

Example 1: Measurement of a loan   liability

A micro-entity receives a loan of CU1,000 on 1 January 20X0. The micro-entity pays loan arrangement fees of CU50. The contractual interest rate is five per cent payable annually in arrears on 31 December. The loan is repayable after two years. The micro-entity’s annual reporting period ends on 31 December.

The micro-entity determines that the loan arrangement fees (transaction costs) are material and on 1 January 20X0 recognises the loan at its transaction price of CU1,000 less the transaction costs of CU50. The transactions costs of CU50 are recognised in the profit and loss account on a straight-line basis over two years, ie CU25 each  year.

The carrying value of the loan is as follows:

Year                      Carrying            Interest at        Transaction              Cash               Carrying amount at                5%                costs in            payments           amount at

1 Jan                                        profit or                                        31 Dec loss

CU                     CU                     CU                     CU                     CU

20X0                        (950)                   (50)                    (25)                     50                    (975)

20X1                        (975)                   (50)                    (25)                  1,050                     0

Example 2: Measurement of a loan asset

A micro-entity makes an interest-free loan of CU900 on 1 January 20X0. The loan is repayable after two years. In 20X1 the micro-entity agrees that the borrower only needs to repay CU450 which is paid on 31 December 20X1. The micro-entity’s annual reporting period ends on 31 December.

The loan is recognised at its transaction price of CU900 on 1 January 20X0. In 20X1 an impairment loss for the uncollectability of CU450 is recognised. The carrying amount of the loan is as follows:

Year                             Carrying                 Impairment             Cash receipts               Carrying amount at                                                                             amount at

1 Jan                                                                                   31 Dec

CU                          CU                           CU                          CU

20X0                                900                            –                              –                            900

20X1                                900                        (450)                        (450)                           0


OmniPro comment

Transaction costs are only required to be added to the financial asset or deducted from the financial liability if they are material. If they are not material they can be expensed immediately.

Transaction costs are incidental costs directly attributable to the acquisition, issue or disposal of the financial asset or liability. They are usually:

These costs are added to the amount originally received where it is an asset or deducted from a liability.

Transaction costs do not include:

Once the transaction costs are considered material and therefore have been included with the related financial asset or liability they should be released to the profit and loss account on a straight line basis over the term of the contract with the following exception:

transaction costs incurred in acquiring investments in shares of all kinds should not be released and instead subject to the cost less impairment rules.


Example 4: Material loan arrangement fees

On 30 June 2016 the company restructured its loan finances and an arrangement fee of CU1,500 was charged and CU500 in directly attributable legal fees which is considered material (CU2,000 in total). The restructured loan is repayable over a 3 year period. Assume the company’s year-end is 31 December 2016. The journals required to effect this arrangement fee are:

 

CU

CU

Dr loan Liability

2,000

 

Cr Bank/Accruals 

 

2,000

Being journal to set the arrangement fee against the loan

 

CU

CU

Dr interest expense (CU2,000/3 yrs *.5 yr)

333

 

Cr loan Liability 

 

333

Being journal to release the arrangement fee for the 6 months to 31/12/16

The remaining unamortised portion at 31 December 2016 will be released to the P&L over the next 2.5 years (i.e.CU667 per annum)


Allocation of interest income or expense
Extract from FRS 105 – Section 9.8 – 19.12

9.14      A micro-entity shall allocate total interest income or expense over the term of the contract as follows:9.13      Total interest income or                      expense is the difference between the initial transaction price and the total amount of the subsequent contractual receipts or payments,                  excluding transaction costs.

  1. For transactions where settlement is deferred beyond normal credit terms (see paragraph 9.6), total interest income or expense shall be allocated on a straight- line basis over the term of the contract.
  2. In all other cases, interest income or expense is allocated at a constant rate on the financial asset’s or financial liability’s carrying amount excluding transaction costs not yet recognised in profit or loss (see paragraph 9.12(b)). The applicable rate will normally be the contractual rate of interest and may be a variable or a fixed rate.

OmniPro comment

Interest income and expenses may arise in the following circumstances:

Only where the interest income/expense arises in relation to the sales/purchases where settlement is deferred beyond normal credit terms can it be released to the profit and loss over the term of the contract (i.e. the length of the credit provided). See examples 1 to 3 above for illustration of this point.

In all other cases it must be released at a constant rate on the financial asset/liability’s carrying amount excluding transaction costs not yet recognised in the P&L (can be at a fixed or variable rate). See below illustration of this point.


Example 5: Bonds – discount/premium

On 1 January 2015 Company A invested in a 5.625% Government bond at cost of €15,000 which reflected a discount of €1,000.  This bond matures in two years’ time. The company also incurred transaction costs of CU500. The IRR is 0.1794% per month. This can also be calculated by use of the excel formula however it is usually provided on purchase of the bond (note in reality it is likely that using a straight line basis would not differ substantially from the implicit rate). Interest due on the bond has not been received at 31 December 2016 (i.e. the company’s year-end date). There were no transaction costs incurred on the purchase.

FRS 105 requires any discount or premium on a bond to be released as interest income/expense over the remaining life of the bond where material at a contractual rate of interest (implicit rate of return).

In order to reflect the release of this discount and the accrued interest, the following journals are required.

The interest income has not been recorded as receivable at the year end.  The following journal is required to record the interest correctly:

 

 

CU

CU

Dr Government bond (CU15,000+CU500)

15,500

 

Cr Bank

 

15,500

Being journal to reflect the purchase of the bond and the capitalisation of transaction costs on initial recognition

Dr Bank (CU16,000*5.625%)

900

 

Cr interest income in P&L

 

900

Being journal to reflect the interest for year 1

Dr interest costs with the transaction fee write off in P&L (CU500/2yrs *1yr)

250

 

Cr Government Bond

 

250

Being journal to release the arrangement fee for completion of 1 year on a straight line basis

Dr Government Bond

325

 

Cr interest income in P&L

 

325

Being journal to reflect the release of the discount from date of acquisition to year end date and the accrued interest earned.

The same types of journals will be posted in year 2

If the bond was purchased at a discount a similar treatment would be required (except there would be a debit for the release of the premium).


Subsequent measurement
Extract from FRS 105 – Section 9.8 – 19.12

9.8     At the end of each reporting period, a micro-entity shall measure financial instruments as follows, without any deduction for transaction                   costs the micro-entity may incur on sale or other disposal:

  1. Investments in preference shares or ordinary shares and investments in subsidiaries and associates and interests in jointly controlled entities shall be measured at cost less impairment.
  2. Derivatives shall be measured as set out in paragraph 10.
  3. Financial instruments other than those covered by paragraphs (a) and (b) shall be measured as set out in paragraphs 9.12 to 9.15.

All financial assets must be assessed for impairment or uncollectability. See paragraphs 9.16 to 9.19.

Derivatives

9.9       Derivatives include forward foreign currency exchange contracts and interest rate swaps. More examples are given in paragraph 9.2(g). 

9.10    The transaction price of a financial instrument that is a derivative plus any transaction costs not immediately recognised in profit or loss                  (see paragraph 9.7) less any impairment losses recognised to date, is allocated to profit or loss over the term of the contract on a straight-            line basis, unless another systematic basis of allocation is more appropriate. 

Contractual payments

9.11      Under a derivative contract a micro-entity may be required to make or may be entitled to receive payments. A micro-entity shall recognise amounts payable or receivable as they accrue.

Financial instruments measured in accordance with paragraph 9.8(c)

9.12      Financial instruments other than those covered in paragraphs 9.8(a) and 9.8(b) are measured as follows:

  1. the transaction price (see paragraph 9.5);
  2. plus, in the case of a financial asset, or minus in the case of a financial liability, transaction costs not yet recognised in profit or loss (see paragraph 15);
  3. plus the cumulative interest income or expense recognised in profit or loss to date (see paragraphs 9.13 and 9.14);
  4. minus all repayments of principal and all interest payments or receipts to date;
  5. minus in the case of a financial asset, any reduction (directly or through the use of an allowance account) for impairment or uncollectability (see paragraphs 9.16  to 9.19).

OmniPro comment

Investments in any kind of preference and ordinary shares must be accounted for at cost less impairment. It includes investments in:


Example 6: Investment in Subsidiary/associate/Joint venture/holding less than an associate/listed shares

Company A invested CU100,000 in return for the issuance of 1,000 ordinary shares in Company B which made company B a subsidiary of Company A. Legal and professional costs of CU1,000 were incurred which are considered material. The carrying amount of the investment in Company B is held at CU100,000 unless an impairment arises.

The journals requires are:

 

CU

CU

Dr investment

101,000

 

Cr bank/creditors 

 

101,000

Being journal to recognise the investment at cost

At the end of year 2 an indication of an impairment arose and as a result the investment was written down to CU60,000 in the books of Company A (CU41,000 recognised as an impairment expense in the P&L).

The journals requires are:

 

CU

CU

Dr administrative expenses – impairment charge

41,000

 

Cr investment

 

41,000

Being journal to write down the asset to the recoverable amount

At the end of year 4 the previous impairment had reversed. Hence the carrying amount of the investment in Company B was written back up from CU60,000 to CU101,000 at the time in the books of Company A.

The journals requires are:

 

CU

CU

Dr investment

41,000

 

Cr administrative expenses – impairment charge

 

41,000

Being journal to reverse prior impairment

Note if the above were listed shares or shares which gave the company a less than significant influence the journals would be the same.


Derivatives

When a derivatives i.e. forward contracts, interest rate swaps is entered into it must be measured at the transaction price plus transaction costs where material, less impairment  and subsequently this should be released to the profit and loss account over the term of the contract.


Example 7: Derivatives

Company A entered into a forward contract to purchase FC 100,000 at a rate of CU1= FC0.8 at the start of the year which matures in 1.5 years time. The initial fee charged was CU1,500 plus transaction costs of CU100 which is material for the purposes of this entity. Assume at the start of year 2 that that the fair value of the forward contract was nil as the currency have moved in an unfavourable way (i.e. if this were sold it would not be purchased by any willing buyer as it is out of the money).

The journals required on initial recognition and subsequently are:

 

CU

CU

Dr derivatives/ other debtors/ prepayments

1,600

 

Cr Bank/Creditors

 

1,600

Being journal to recognise the cost of the derivative on the balance sheet 

 

CU

CU

Dr FX gain/loss in administrative expenses (CU1,600/1.5 years * 1 years)

1,067

 

Cr derivatives/other debtors/ prepayments

 

1,067

Being journal to release the cost of the derivative over the life to year end date. If there was no impairment prior to the date of maturity the journal in the following year would also be CU533 but would be spread over the remaining months.

 

CU

CU

Dr impairment in administrative expenses (carrying amt of 533 reduced to nil as a result of impairment

533

 

Cr derivatives/other debtors/ prepayments

 

533

Being journal to recognise the impairment of the derivative at the start of year 2.

Note no further journal required at the date of maturity as it has a nil carrying amount. If prior to maturity the impairment reversed and it had a fair value, the previous impairment could be reversed but it could not be reversed above what it would have been had no impairment occurred. From then on, this restated amount would be written off over the remaining life. For example if we assume the impairment reversed at the end of March, then CU266 (CU533-(CU1,600/1.5 years*2.5mths) – Being the number of mouths to maturity) of the impairment above would be reversed at that date and the remaining CU267 would be written off over the remaining months on a straight line basis).


Financial instruments coming within this section other than investments in shares or derivatives as detailed above are subsequently measured at:

Examples of the types covered by this are:

See example above for application of these rules to bonds.


Example 8: Loans

Company A received a loan from its parent company, Company B of CU100,000. This loan is interest free and repayable as follows:

End of year 2    CU30,000

End of year 5    CU70,000

Assume at the end of year 3 there was doubt about Company A’s ability to repay the loan due to financial difficulty, so only CU50,000 of the remaining loan could be repaid. At the end of year 4, the impairment indicator had reversed somewhat and the amount that could be repaid was likely to be CU60,000. Subsequently it became clear the full CU70,000 could be paid.

The journals required to reflect this in Company A are:

On the date of initial recognition

 

CU

CU

Dr bank

100,000

 

Cr loan liability

 

100,000

Being journal to recognise the loan on the balance sheet 

At the end of Year 2:

 

CU

CU

Dr Loan liability

30,000

 

Cr bank

 

30,000

Being journal to reflect repayment at end of year 2

At the end of Year 5:

 

CU

CU

Dr Loan liability

70,000

 

Cr bank

 

70,000

Being journal to reflect repayment at end of year 2

The journals required to reflect this in Company B are:
On the date of initial recognition and at end of year 2:

As per above except the journals are the opposite way around.

At the end of Year 3:

 

CU

CU

Dr impairment of debtors/loan in P&L (CU70,000-CU50,000)

20,000

 

Cr Loan Asset

 

20,000

Being journal to reflect impairment at year end

At the end of Year 4:

 

CU

CU

Dr Loan Asset  (CU70,000-CU60,000)

10,000

 

Cr reversal of impairment of debtors/loan in P&L

 

10,000

Being journal to reflect part reversal of prior year impairment

At the end of Year 5:

As per above except the journals are the opposite way around.

As can be seen above a liability cannot be derecognised until it has been formally cancelled of forgiven.


Impairment of financial assets

Recognition and measurement

9.16      At the end of each reporting period, a micro-entity shall assess whether there is evidence of impairment of any financial asset.

9.17      Evidence that a financial asset could be impaired includes the following events:

  1. significant financial difficulty of the debtor;
  2. a breach of contract, such as a default or delinquency in interest or principal payments;
  3. the creditor, for economic or legal reasons relating to the debtor’s financial difficulty, granting to the debtor a concession that the creditor would not otherwise consider;
  4. it has become probable that the debtor will enter bankruptcy or other financial reorganisation;
  5. declining market values of the asset or similar assets;
  6. significant changes with an adverse effect on the asset that have taken place in the technological, market, economic or legal environment; and
  7. the contract has become an onerous

9.18  A micro-entity shall measure an impairment loss for financial assets as set out below. An impairment loss is immediately recognised in                    profit or loss.

  1. An investment in preference shares or ordinary shares and an investment in subsidiaries and associates and an interest in jointly controlled entities is impaired and an impairment loss shall be recognised if the asset’s carrying amount exceeds the best estimate of the asset’s selling price as at the reporting date.
  2. An asset that is a derivative is impaired and an impairment loss shall be recognised if the asset’s carrying value exceeds the asset’s fair value less costs to sell.
  3. An asset measured in accordance with paragraph 9.8(c), is impaired and an impairment loss shall be recognised, if the asset’s carrying amount exceeds the total of estimated net cash flows that can be generated from the asset. When the effect of the time value of money is material, the amount of the net cash flows shall be the present value of the estimated net cash flows. The discount rate shall be the asset’s current contractual interest rate.

Reversal

9.19      A micro-entity shall reverse a previously recognised impairment loss if in a subsequent period the amount of an impairment loss decreases and the decrease can be related to an event occurring after the impairment was recognised (eg an improvement in the debtor’s credit rating). The micro-entity shall recognise the amount of the reversal in profit or loss immediately.


OmniPro comment

At the end of each reporting period an entity is required to assess whether there are indicators/objective evidence of impairment of financial assets and if there is an impairment should be booked. Detailed in Section 9.17 above are the detailed impairment indicators. They are summarised as follows:

(a)        significant financial difficulty of the issuer or obligor;

(b)        a breach of contract, such as a default or delinquency in interest or principal payments;

(c)        the creditor, for economic or legal reasons relating to the debtor’s financial difficulty, granting to the debtor a concession that the creditor would not otherwise consider;

(d)        it has become probable that the debtor will enter bankruptcy or other financial reorganisation;

(e)        declining market values of the asset or similar assets;

(f)         Significant changes with an adverse effect that have taken place in the technological, market, economic or legal environment; and

(g)        a contract has become an onerous contract.

The standard does state that assets cannot be grouped. However it would be practice for all ordinary and preference shares to be assessed for impairment individually. Other financial assets can be grouped where it is determined appropriate and can usually be done on a collective basis where it is performed on the basis of credit risks.

Examples of impairments and how they are accounted for is included in the examples above. Note impairment of investments in subsidiaries, associates and joint ventures are covered by this Section as per Section 9.18(a) above. In assessing whether an impairment exists you should assess the best estimate of the selling price of the investment at the reporting date. In assessing this, one could utilise the guidance on valuation of privately held companies and apply a multiple based on this to assess whether this amount is in excess of the recoverable amount. It may also be possible to argue that you could apply the value in use method based on the result of the company in which the shares are held. Value in use has been discussed further in Section 22.


Example 9: Investment in subsidiary

Company A holds a 100% investment in Company B (cost CU500,000). At the year end Company B’s performance was far less than expected and a significant loss was incurred. As a result Company B’s net assets was CU400,000. The significant loss made by Company B is an impairment indicator. As it is likely that it would be difficult to determine the fair value less cost to sell in an active market, the value in use model could be utilised to determine whether an impairment is required. In this particular case, it may be appropriate to impair the investment down to the net asset amount of CU400,000 assuming Company B itself has completed an impairment review on its end. However the starting point is to assess the best estimate of the selling price of this investment.


Onerous contracts
Extract from FRS 105 – Section 9.20

9.20  At each reporting date a micro-entity shall assess whether a derivative constitutes an onerous contract. A derivative is an onerous contract           when the expected unavoidable payments exceed the economic benefits expected to be received from the derivative. A derivative which               does not mitigate a specific risk or risks of a micro-entity is an onerous contract when the expected payments exceed the expected cash                 receipts under the contract. The present obligation arising from an onerous contract shall be measured in accordance with Section 16.

Example: Assessment of whether a derivative is onerous

A micro-entity takes out a loan with a variable rate of interest. In order to mitigate the risk of fluctuating interest payments, the micro-entity enters into an interest rate swap. Through the interest rate swap the micro-entity pays a fixed rate of interest and receives a variable rate of interest equal to the interest on the loan.

Scenario 1:

Interest rates are going down and as a result the payments made by the micro- entity under the interest rate swap are higher than the receipts. The interest rate swap is not an onerous contract because the micro-entity continues to benefit from the interest rate swap by effectively paying a fixed rate of interest on the loan.

Scenario 2:

The micro-entity repays the loan early, but the interest rate swap cannot be terminated. The micro-entity expects that the payments due under the interest rate swap exceed the receipts. The interest rate swap is an onerous contract because the micro-entity no longer derives a benefit from it.


Dercognition of a financial asset
Extract from FRS 105 – Section 9.21 – 9.23

9.21      A micro-entity shall derecognise a financial asset only when:

  1. the contractual rights to the cash flows from the financial asset expire or are settled;
  2. the micro-entity transfers to another party substantially all of the risks (eg slow or non-payment risk) and rewards of ownership (eg future cash flows from a debtor); or
  3. when no future economic benefits are expected from holding it or its

9.22  A micro-entity shall recognise any gain or loss on the derecognition of a financial asset in profit or loss when the item is derecognised.

9.23 If a micro-entity received any proceeds from the transfer of a financial asset, but the conditions in paragraph 9.21 are not met, a micro-entity         shall continue to recognise the asset in its entirety and shall recognise a financial liability for the consideration received. The asset and                   liability shall not be offset. In subsequent periods, the micro- entity shall recognise any income on the transferred asset and any expense               incurred on the financial liability.

Example 1: Debt factoring arrangement that qualifies for derecognition

A micro-entity sells a group of its accounts receivable to a bank at less than their carrying amount. The micro-entity is obliged to remit promptly to the bank all amounts collected, but it has no obligation to the bank for slow payment or non- payment by the debtors.

In this case, the micro-entity has transferred to the bank substantially all of the risks and rewards of ownership of the receivables. Accordingly, it removes the receivables from its statement of financial position (ie derecognises them), and it shows no liability in respect of the proceeds received from the bank. The micro- entity recognises a loss calculated as the difference between the carrying amount of the receivables at the time of sale and the proceeds received from the bank. The micro-entity recognises a liability to the extent that it has collected funds from the debtors but has not yet remitted them to the bank.

 

Example 2: Debt factoring arrangement that does not qualify for derecognition

The facts are the same as in the preceding example except that the micro-entity has agreed to buy back from the bank any receivables for which the debtor is in arrears as to principal or interest for more than 120 days.

 

In this case, the micro-entity has retained the risk of slow payment or non-payment by the debtors – a significant risk with respect to receivables. Accordingly, the micro-entity does not treat the receivables as having been sold to the bank, and it does not derecognise them. Instead, it treats the proceeds from the bank as a loan. The micro-entity continues to recognise the receivables as an asset until they are collected or written off as uncollectible.

Transfers of non-cash collateral
Extract from FRS 105 – Section 9.24

9.24 When a micro-entity participates in arrangements where it provides or receives financial assets other than cash as collateral (eg a micro-               entity pledges commercial papers as security against a loan), the micro-entity shall apply the requirements of paragraphs 11.35(b) to                    11.35(d) of FRS 102. 

Derecognition of a financial liability

Extract from FRS 105 – Section 9.25-9.26

9.25  A micro-entity shall derecognise a financial liability (or a part of a financial liability) only when it is extinguished – ie when the obligation                   specified in the contract is discharged, is cancelled or expires.

9.26 A micro-entity shall recognise any gain or loss on the derecognition of a financial liability (or a part of a financial liability) in profit or loss when         the item is derecognised.


OmniPro comment

See application of the above guidance.


Example 10: asset recognised due to settlement

Company A loans CU100,000 to another entity which attracted a market interest rate and was repayable in year 5.

The asset can be derecognised at the end of year 5 i.e. when the loan is fully repaid. If the loan is repaid earlier then it is derecognised on the date it is repaid.

In Section 9.21(b), a financial asset can be derecognised when the entity transfers to another party substantially all of the risks and rewards of ownership of the financial asset.


Example 11: sale of debtors with recourse

Company A arranges invoice discounting with a bank. They sell their book of debtors which is stated at CU200,000 for CU180,000. However the company retains the credit risk. The company manages the debtors book and pays over any receipts to the bank. Given that substantially all the risk and rewards of ownership have not been transferred, as Company A will incur any bad debt risk, the debtor balance cannot be derecognised. As a result the way in which this CU180,000 is recognised is to:

 

CU

CU

Dr bank account

180,000

 

Cr invoice discounting liability

 

180,000

NOTE: the interest charged by the bank is charged to the P&L as incurred and any transaction costs are released over the life of the arrangement on a straight line basis where material.


Example 12: sale of debtors with recourse

Company A arranges invoice discounting with a bank. They sell their book of debtors which is stated at CU200,000 for CU180,000. The bank also takes on the credit risk. The company manages the debtors book and pays over any receipts to the bank. Given that substantially all the risk and rewards of ownership have been transferred, the company can derecognise the trade debtor balance. The journal to derecognise this is to:

 

CU

CU

Dr Bank Account

180,000

 

Dr Profit and Loss – Bank Charges

20,000

 

Cr Trade Debtors

 

200,000


A financial asset can be derecognised when the entity, despite having retained some significant risks and rewards of ownership, has transferred control of the asset to another party and the other party has the practical ability to sell the asset in its entirety. These are the key requirements.

As detailed in 9.24, where non cash collateral is provided (e.g. in the form of shares or debt) it needs to be separated and disclosed in the financial statements, however it is not derecognised until the entity defaults on any loan.


Example 13: Forgiveness of debt

Company A took out a loan to purchaser a property for CU70,000 a number of years ago. A number of years later due to the recession the market value of the property was CU15,000 with no likelihood that it will increase in the future. The carrying amount in the accounts was CU30,000. The amount of the loan attached to this property at that time was CU40,000. The bank has agreed to write off the difference of CU25,000 following the sale of the property. The journals required to account for this assuming the bank has given formal notice to forgive are:

 

CU

CU

Dr Bank

15,000

 

Dr loss on disposal on fixed assets in P&L (30,000 – 15,000)

15,000

 

Cr Fixed Assets

 

30,000

Being journal to derecognise the asset and reflect the loss on disposal.

 

CU

CU

Dr Loan Liability

40,000

 

Cr Bank

 

15,000

CR Exceptional item – on write off of debt

 

30,000

Being journal required to reflect the write off of the loan and the payment of the proceeds on sale of the asset to the bank.


Presentation
Extract from FRS 105 – Section 9.27

9.27 A financial asset and a financial liability shall be offset and the net amount presented in the statement of financial position when, and only               when, a micro-entity:

  1. currently has a legally enforceable right to set off the recognised amounts; and
  2. intends either to settle on a net basis, or to realise the asset and settle the liability simultaneously.

OmniPro comment

Unless there is a legal entitlement there is no right of set off. Therefore for example an invoice discounting facility with recourse, the liability in relation to funds advanced from the bank cannot be set against the trade debtor balance.


Disclosures in the notes
Extract from FRS 105 – Section 9.28 – 9.29

9.28  A micro-entity shall determine the amount of any financial commitments, guarantees and contingencies not recognised in the statement of              financial position arising from its financial instruments and disclose that amount within the total amount of financial commitments, guarantees          and contingencies (see paragraph 6A.2).

9.29 A micro-entity shall disclose an indication of the nature and form of any financial asset given as security in respect of its commitments,                   guarantees and contingencies (see paragraph 6A.3).


OmniPro comment

See illustration of the disclosures below:

Guarantees, contingencies and other financial commitments

     a) The company had capital commitments of €30,000 at the year ended 31 December 2015 (2014:€nil) in relation to the purchase of                           equipment[1]. This commitment has been secured by a fixed and floating charge on the stock, debtors and any other assets owned by the             company.

     b) The company has entered into a guarantee for the benefit of its subsidiary/holding company/sister company. The total amount of this                      guarantee was €XX.

     c) At the year end, the company had forward foreign exchange contracts in place totalling €2,000 (2014: €nil) for the sale of British pounds.

Principal transition adjustments
OmniPro comment
     1) De-recognition of investments from fair value/revaluation to cost and the related deferred tax impact (if applicable).

Under FRSSE/old GAAP there was a choice to hold investments in subsidiaries, associates and joint ventures in the individual financial statements at either cost less impairment or revalued amount with movements in valuation recognised in the STRGL/revaluation unless it was considered permanent in which case it was recognised in the STRGL where a previous upward revaluation was held and then to the P&L (revaluation policy). Where a revaluation policy was adopted no deferred tax was required to be recognised.


FRS 102 offers the choices as per FRSSE/old GAAP above (only difference is that the revaluation is recognised in OCI/revaluation reserve) but in addition gives the company an option to carry the investment at fair value with movements in fair value recognised in the profit and loss account. FRS 102 also required deferred tax to be considered on any movements in fair value from cost.

FRS 105 only permits such investments to be carried at cost less impairment.

Where investments in subsidiaries/associates/joint ventures are recognised at fair value/revaluation under FRSSE/FRS 102 in the individual financial statements on transition to FRS 105, an adjustment will be required to

Where the fair value is below original cost, no adjustment will be required as this would be the cost less impairment amount also. However if deferred tax asset was recognised on the downward valuation this would need to be derecognised.


Example 14: Restatement of investment in subsidiaries/associates/joint ventures to cost less impairment (previously carried at fair value through P&L under FRS 102) 

Company A in its individual financial statements under FRS 102 had adopted a policy of fair valuing investments in subsidiaries/associates/joint ventures through the profit and loss. Assume 1 January 2015 is the date of transition. The fair value of the investment at 1 January 2015, 31 December 2015 and 31 December 2016 was CU120,000, CU95,000 and CU125,000 respectively in the FRS 102 financial statements. The cost of the investment was CU100,000 at 1 January 2015 and 31 December 2015 & 2016 which represented the original cost.  A deferred tax rate of 20% was used to reflect deferred tax on the uplift under FRS 102. The adjustments required on transition to restate to cost less impairment and the reversal of the related deferred tax are (note in reality the deferred tax on this fair value adjustment would likely be derecognised as one journal with deferred tax on all other timing differences as discussed in Section 24 of FRS 105, however we have shown the derecognition here for educational purposes):

1 January 2015

 

CU

CU

Dr Profit and Loss Reserves

(CU120,000-CU100,000)

20,000

 

Cr Investments in Subsidiaries/associates/joint ventures

 

20,000

Being journal to restate the investment to cost

 

CU

CU

Dr Deferred Tax Liability

(CU20,000*20%)

4,000

 

Cr Profit and Loss Reserves

 

4,000

Being journal to derecognise the deferred tax under FRS 105 as it cannot be recognised

Journals required in the 31 December 2015 year assuming the above journals are posted to reserves etc.

 

CU

CU

Dr Investments in Subsidiaries/associates/joint ventures

20,000

 

Dr Impairment of investments in P&L

5,000

 

Cr Fair Value Movement in Subsidiaries in P&L

(CU120,000-CU95,000)

 

25,000

Being journal to reverse previous fair value movement and just reflect the impairment from cost to CU95,000 (i.e. only CU5k debit to P&L)

 

CU

CU

Dr Deferred Tax in P&L

4,000

 

Cr Deferred Tax Liability

(CU20,000*20%)

 

4,000

Being journal to reverse deferred tax movement recognised in the 2015 year under FRS 102

Journals required in the 31 December 2016 year assuming the above journals are posted to reserves etc.

 

CU

CU

Dr Fair Value Movement in Subsidiaries/associates/joint ventures in P&L

(CU125,000-CU100,000)

30,000

 

Cr Reversal of impairment of investments in P&L

 

5,000

Cr Investments in Subsidiaries/ associates/joint ventures

 

25,000

Being journal to reverse the fair value movement recognised in the P&L in 2016 under FRS 102 so as to restate the investment to cost and to reverse the previous impairment so as to show it at cost as the impairment has reversed

 

CU

CU

Dr Deferred Tax Liability

((CU125,000-CU100,000)*10%)

5,000

 

Cr Deferred Tax in P&L

 

5,000

Being journal to reverse deferred tax movement recognised in the P&L under FRS 102.

Note this example is also applicable for any investment previously carried at fair value under FRS 102 (e.g. non-puttable ordinary and preference shares which gave less than a significant influence and could be reliably measured or investments/bonds/unit linked funds carried at fair value as they met the definition as a complex financial instruments under FRS 102 that needed to be carried at fair value under FRS102 that need to be carried at fair value under FRS 102).


Example 15:  Restatement of investment in subsidiaries/associates/joint ventures to cost less impairment (previously carried at fair value through OCI/STRGL under FRS 102/FRSSE/Old GAAP)

If we take example 14 above and assume Company A in its individual financial statements has adopted a policy of fair valuing investments in Subsidiaries/associates/joint ventures through other comprehensive income under FRS 102 and the STRGL under FRSSE/Old GAAP this time. The journals required would be as follows.

1 January 2015

 

CU

CU

Dr Revaluation Reserve

 

20,000

Cr Investments in Subsidiaries/ associates/joint ventures

(CU120,000-CU100,000)

20,000

 

Being journal to restate the investment to cost

Below journal is only applicable if transitioning from FRS 102. Not applicable if transitioning from FRSSE/Old GAAP)

CU

CU

Dr Deferred Tax Liability

4,000

 

Cr Deferred Tax in Revaluation Reserve

(CU20,000*20%)

 

4,000

Being journal to derecognise the deferred tax under FRS 105 as it cannot be recognised

Journals required in the 31 December 2015 year assuming the above journals are posted to reserves

 

CU

CU

Dr Investments in Subsidiaries/ associates/joint ventures

(CU120,000-CU95,000)

20,000

 

Dr Impairment of investments in P&L

5,000

 

Cr Fair Value Movement in Profit and Loss

 

5,000

Cr Fair Value Movement in Subsidiaries in OCI/STRGL/ Revaluation Reserve

 

20,000

Being journal to reverse the revaluation movement and just recognise the impairment below cost in the P&L as required under FRS 105.

Below journal is only applicable if transitioning from FRS 102. Not applicable if transitioning from FRSSE)

CU

CU

Dr Deferred Tax in Revaluation Reserve/OCI/STRGL

(CU20,000*20%)

4,000

 

Cr Deferred Tax Liability

 

4,000

Being journal to reverse deferred tax movement recognised in the 2015 year under FRS 102/FRSSE/Old GAAP

Journals required in the 31 December 2016 year assuming the above journals are posted to reserves

 

CU

CU

Dr Profit and Loss Fair Value Movement in P&L

5,000

 

Dr Fair Value Movement in Subsidiaries/ associates/joint ventures in Revaluation Reserve/OCI/STRGL

25,000

 

Cr Reversal of impairment of investments in P&L

 

5,000

Cr Investments in Subsidiaries

(CU125,000-CU100,000)

 

25,000

Being journal to reverse the fair value movement recognised in the OCI/STRGL in 2016 under FRS 102/FRSSE/Old GAAP so as to restate the investment to cost and to reverse the previous impairment so as to show it at cost as the impairment has reversed.

Below journal is only applicable if transitioning from FRS 102. Not applicable if transitioning from FRSSE)

CU

CU

Dr Deferred Tax Liability ((CU125,000-CU100,000)*20%)

5,000

 

Cr Deferred Tax in Revaluation Reserve/OCI/STRGL

 

5,000

Being journal to reverse deferred tax movement recognised in the P&L under FRS 102/FRSSE/Old GAAP.


Example 16: Restatement of investment in subsidiaries/associates/joint ventures to cost less impairment-no adjustment where fair value is less than cost)

Company A in its individual financial statements under FRS 102 had adopted a policy of fair valuing investments in subsidiaries/associates/joint ventures through the profit and loss or alternatively at fair value through OCI/STRGL for FRS 102/FRSSE/Old GAAP. Assume 1 January 2015 is the date of transition. The fair value of the investment at 1 January 2015, 31 December 2015 and 31 December 2016 was CU90,000, CU95,000 and CU80,000 respectively in the FRS 102/FRSSE/Old GAAP financial statements. The cost of the investment was CU100,000 at 1 January 2015 and 31 December 2015 & 2016 which represented the original cost. Assume a deferred tax asset was not recognised under previous GAAP.

In this case no transition adjustments are required as under FRS 105 the cost less impairment value would equal the amounts booked under old GAAP/FRS 102/FRSSE.


     2) Listed shares and other investments previously held at fair value restated to cost less impairment (FRS 102 only)

Under FRS 102 the company was required to carry listed shares at fair value with the movement in fair value recognised in the P&L. Deferred tax also needed to be taken into account.

FRS 105 does not permit any assets to be carried at fair value/market value instead such investments must be stated at cost less impairment.

As a result a transition adjustment is required to restate the carrying amount of investments from market value to cost less impairment and the reversal of the related deferred tax if applicable (note in reality the deferred tax on this fair value adjustment would likely be derecognised as one journal with deferred tax on all other timing differences as discussed in Section 24 of FRS 105, however we have shown the derecognition here for educational purposes). An adjustment may also be required where some of the assets were held at fair value and these shares were sold since the date of transition.

Where the fair value is below original cost, no adjustment will be required as this would be the cost less impairment amount also. However if a deferred tax asset was recognised on the downward valuation this would need to be derecognised. The below example illustrates uplifts however the same logic would apply if there were downward movements and the downward movement did not result in the investment going below original cost. See examples 14 and 16 above for further details (the same concepts apply).

The below example can also be applied to any other investment recognised at fair value (e.g. shares held at market value, collective investment funds, complex financial instruments as defined in FRS 102 such as loans, bonds  etc.).


Example 17: Restatement of listed shares to cost less impairment – applicable on transition from FRS 102

Company A prepared FRS 102 accounts prior to the date on transition. Assume the date of transition is 1 January 2015. The company held listed shares at fair value with movement in the fair value recognised in the profit and loss account.

In year ended 31 December 2016 the company disposed of some of these listed shares. The cost of those shares was CU15,856 but the carrying amount in the books at the date of disposal under FRS 102 was CU17,356. The fair value movement recognised in the P&L in the 2015 and 2016 year was CU5,000 and CU2,000 respectively. Assume deferred tax recognised at 1 January 2015, 31 December 2015 and 2016 was CU250, CU750 and CU950 respectively under FRS 102. See further details in the table below:

The journals required on transition are:

On 1 January 2015

 

CU

CU

Dr P&L Reserves

2,500

 

Cr Investment in shares 

 

2,500

Being journal to restate the listed shares to cost from market value at the date of transition

 

CU

CU

Dr Deferred tax on balance sheet          

250

 

Cr P&L Reserves

 

250

Being journal to derecognise deferred tax at date of transition as cannot be recognised under FRS 105 (in reality this would be derecognised as part of one journal for the derecognition of all deferred tax on the balance sheet however this is included for educational purposes)

In the year ended 31 December 2015:

 

CU

CU

Dr P&L Reserves

2,500

 

Cr Investment in shares 

 

2,500

Being journal to restate the listed shares to cost from market value at the date of transition

 

CU

CU

Dr Deferred tax on balance sheet          

250

 

Cr P&L Reserves

 

250

Being journal to derecognise deferred tax at date of transition as cannot be recognised under FRS 105 (in reality this would be derecognised as part of one journal for the derecognition of all deferred tax on the balance sheet however this is included for educational purposes)

Dr Other Operating income – 2015 movement

5,000

 

Cr Investment in shares 

 

5,000

Being journal to reverse the movement on the fair value of listed shares posted in 2015 under FRS 102 rules

 

CU

CU

Dr Deferred tax on balance sheet

500

 

Cr Deferred tax in P&L (CU750-250)

 

500

Being journal to derecognise deferred tax movement in 2015 as DT cannot be recognised under FRS 105 (in reality this would be derecognised as part of one journal for the derecognition of all deferred tax on the balance sheet however this is included for educational purposes)

In the year ended 31 December 2016:

 

CU

CU

Dr P&L Reserves

2,500

 

Cr Investment in shares 

 

2,500

Being journal to restate the listed shares to cost from market value at the date of transition

 

CU

CU

Dr Deferred tax on balance sheet

250

 

Cr P&L Reserves

 

250

Being journal to derecognise deferred tax at date of transition as cannot be recognised under FRS 105 (in reality this would be derecognised as part of one journal for the derecognition of all deferred tax on the balance sheet however this is included for educational purposes)

Dr P&L Reserves – Other Operating income – 2015 movement         

5,000

 

Cr Investment in shares 

 

5,000

Being journal to reverse the movement on the fair value of listed shares posted in 2015 under FRS 102 rules

 

CU

CU

Dr Deferred tax on balance sheet

500

 

Cr P&L Reserves

 

500

Being journal to derecognise deferred tax movement in 2015 as DT cannot be recognised under FRS 105 (in reality this would be derecognised as part of one journal for the derecognition of all deferred tax on the balance sheet however this is included for educational purposes)

Dr Other Operating income in P&L– 2016 movement

2,000

 

Cr Investment in shares

 

2,000

Being journal to reverse the movement on the fair value of listed shares posted in 2016 under FRS 102 rules

Dr Investment in shares (CU17,356-CU15,856)

1,500

 

Cr profit on disposal in P&L

 

1,500

Being journal to reflect the additional profit on disposal of listed shares previously not included in P&L as it was held at fair value at each year end.

Note here there was a disposal in 2016, if this was in the comparative year a similar journal would be required which would be brought forward to reserves in the current year. If there was no disposal then the last journal here would not be applicable

 

CU

CU

Dr Deferred tax on balance sheet

200

 

Cr Deferred tax in P&L

 

200

Being journal to derecognise deferred tax movement in 2016 as DT cannot be recognised under FRS 105 (in reality this would be derecognised as part of one journal for the derecognition of all deferred tax on the balance sheet however this is included for educational purposes)

     3)  Sale/purchase of goods/services on unusual credit terms/deferred credit terms – restatement from effective interest method to the straight             line method (applicable to entities transitioning from FRS 102 only)

Under FRS 102 where sales/purchases were made on unusual credit terms, entities are required to measure such transactions at the cash price or the present value of the future cash flows discounted at a market rate of interest with the difference being released as interest income/expense over the life of the credit term on an effective interest basis.

FRS 105 requires the company to recognise this sale/purchase initially at the cash price where material (or the present value of the receipt at a market rate of interest if the cash price cannot be determined) and to recognise the difference as interest income/expense over the life of the credit term on a straight line basis. This differs from FRS 102 where it must be released under the effective interest rate method. There will also be a requirement to adjust the corporation tax asset/liability to restate the tax to what it would have been had FRS 105 been applied from inception.

Given that this is an adjustment on transition assume the tax which has fallen out will be taxable/tax deductible in line with revenue guidance over a 5 year period (i.e. from year ended 31 December 2016 and four more years from then).FRS 105 requires the company to recognise this sale/purchase initially at the cash price where material (or the present value of the receipt at a market rate of interest if the cash price cannot be determined) and to recognise the difference as interest income/expense over the life of the credit term on a straight line basis. This differs from FRS 102 where it must be released under the effective interest rate method. There will also be a requirement to adjust the corporation tax asset/liability to restate the tax to what it would have been had FRS 105 been applied from inception.


Example 18: Sale/purchase of goods/services on unusual credit terms/deferred credit terms – restatement from effective interest method to the straight line method (applicable to entities transitioning from FRS 102 only)

Company A previously applied FRS 102. Assume the date of transition is 1 January 2015. Company A sold goods worth CU54,000 with unusual credit terms on 01/01/14.  The credit provided is for a period up to 31/12/16.  The normal cash price for these goods would be CU36,000.  Under FRS 102 this was required to be measured at the cash price or the present value of the future cash flows discounted at a market rate of interest with the difference being released as interest income over the life of the credit term on an effective interest basis. The amount recognised in turnover at 1 January 2014 under FRS 102 was CU36,000 and the trade debtor balance at 31 December 2014 and 31 December 2015 and 2016 was CU41,200, CU47,168 and CUNil respectively. 

The amount that should have been recognised as revenue under FRS 105 is the cash price of CU36,000 which is as per FRS 102. The difference between the CU54,000 and the CU36,000 (i.e. CU18,000) should be recognised on a straight line basis (i.e. CU18,000/3 years= CU6,000) as interest income over the 3 year extended credit period. Therefore the required debtor balance under FRS 105 at the date of transition/1 January 2015 is CU42,000 (CU36,000+CU6,000), the 31 December 2015 is CU48,000 (CU42,000+CU6,000) and the 31 December 2016 is CUNil. Assume a corporation tax rate of 10%.

If we assume for the purposes of this example that this is material and therefore an adjustment is required on transition.

As the above amount at 31 December 2015 has fallen out, in line with tax authorities’ guidelines this must be taxed over a 5 year period from 31 December 2016 on. Therefore the company is liable for the CU832 that fell out for corporation tax purposes on transition to FRS 105 as it was not previously taxed (this amount has previously not been taxed in the tax computation and this income will not be recognised again in the future under FRS 105 as it has been posted to P&L reserves). Therefore an addback of CU166 (CU832/5yrs) or CU17 in tax terms will be included in the tax computation for 31 December 2016 and for a further 4 years. Assume these figures are material for the purposes of this example.

The journals required on transition are:

On 1 January 2015

 

CU

CU

Dr Debtors

800

 

Cr Corporation tax on balance sheet (CU800*10%)

 

80

Cr Opening P&L Reserves 

 

720

 Being journal to reflect sale at the cash price plus interest income at the date of transition and the related corporation that that would have been booked had it been prepared under FRS 105

In the year ended 31 December 2015:

 

CU

CU

Dr Debtors

800

 

Cr Corporation tax on balance sheet (CU800*10%)

 

80

Cr Opening P&L Reserves 

 

720

Being journal to reflect sale at the cash price plus interest income at the date of transition and the related corporation that that would have been booked had it been prepared under FRS 105

 

CU

CU

Dr Debtors

32

 

Dr Corporation tax in P&L

3

 

Cr Corporation tax on balance sheet (CU32*10%)

 

3

Cr Interest Income in P&L 

 

32

Being journal to post the finance income released in 2015 to profit and loss and the related corporation tax refundable

In the year ended 31 December 2016:

 

CU

CU

Dr Debtors

800

 

Cr Corporation tax on balance sheet (CU800*10%)

 

80

Cr Opening P&L Reserves 

 

720

Being journal to reflect sale at the cash price plus interest income at the date of transition and the related corporation that that would have been booked had it been prepared under FRS 105

Dr Debtors

32

 

Cr Corporation tax on balance sheet (CU32*10%)

 

 

3

Cr Opening Reserves (Interest income 2015 net of tax)

 

29

Being journal to post the additional finance income released in 2015 to profit and loss reserves brought forward

 

CU

CU

Dr Interest income

832

 

Cr Debtors

 

832

Being journal to reverse the journals posted above as the sale has been closed out in the 2016 year and therefore is no  longer included in debtors (ensures the interest income in 2016 is only stated at CU6,000)

Dr Corporation tax on balance sheet

(CU83/5 yrs)

 

17

Cr Corporation tax in P&L

17

 

Being journal to reflect the additional addback for 1/5th of the sale not previously taxed up to 31/12/15 which has therefore fallen out under FRS 105. Note this assumes that the tax journal posted will include the transition tax adjustment for the CU17 when it is finally recognised. If there was no corporation tax in 2016, then the CU17 would still be released as a credit to the P&L as it would be no longer payable to the tax authorities. As no deferred tax can be recognised under FRS 105 it cannot be held as deferred tax liability on the balance sheet as a timing difference. The remaining CU68 (CU83-CU17) will still be included as a liability at the year end in the corporation tax nominal and released over the remaining 4 yrs.


     4) Sale/purchase of goods/services on unusual credit terms/deferred credit terms – (applicable to entities transitioning from FRSSE/Old GAAP             or FRS 102 where not correctly accounted for under those standards)

We have already described the treatment of such transaction under FRS 102. FRSSE/old GAAP requirements are as per FRS 105 as detailed in 3 above (i.e. where the difference between the cash price and the invoice price differs, then this difference should be released to the P&L over the credit term on a straight line basis). Although this was required the entity may not have correctly accounted for this under the previous GAAP due to an error. If this error is material this should be corrected on transition to FRS 105.

As detailed in 3 above there will be a corporation tax impact as a result of this adjustment which will be tax deductible over 5 years from the year ended 31 December 2016. Note an adjustment is posted for corporation tax such that the corporation tax would be equal to what it would have been had FRS 105 applied from inception.


Example 19: Sale/purchase of goods/services on unusual credit terms/deferred credit terms – not previously accounted for correctly under previous GAAP due to an error (applicable to entities transitioning from FRSSE/Old GAAP and FRS102)

Company A sold goods worth CU6,000 with unusual credit terms on 01/01/14.  The credit provided is for a period up to 31/12/16.  The normal cash price for these goods would be CU3,600.  CU6,000 was recognised in Turnover and Debtors in 2014.  This was an error under prior GAAP as it would also have required this to be recognised at the cash price. Assume for the purposes of this example that this was considered material.

The amount that should have been recognised as revenue is the cash price of CU3,600. The difference between the CU6,000 and the €3,600 (i.e. CU2,400) should be recognised on a straight line basis (i.e. CU2,400/3 years= CU800) as interest income over the 3 year extended credit period.

However the company can claim a deduction for corporation tax purposes for the amount previously taxed at 31 December 2015 over a 5 year period in line with revenue rules (this amount has previously been taxed in the tax computation and this income will be recognised again under FRS 105 in the future, hence a deduction is due for tax previously paid over). Therefore a deduction of CU160 (CU800/5yrs), CU16 (CU160*10%) in tax terms will be claimed in the tax computation for 31 December 2016 and for a further 4 years. An adjustment will be required for corporation tax purposes as a result on transition.

The journals required on transition are:

On 1 January 2015

 

CU

CU

Dr Opening Reserves

1,440

 

Dr Corporation tax on balance sheet (CU1,600*10%)

160

 

 

Cr Debtors (interest income 2015 & 2016) – (CU6,000 – CU3,600 – CU800)

 

1,600

Being journal to reflect sale at the cash price plus the interest up to date of transition and the related tax that would not have been charged under FRS 105 

In the year ended 31 December 2015:

 

CU

CU

Dr Opening Reserves

1,440

 

Dr Corporation tax on balance sheet (CU1,600*10%)

160

 

Cr Debtors (finance income 2015 & 2016)

 

1,600

Being journal to bring forward the journal posted on transition to defer the interest element and the related tax that would not have been charged under FRS 105

Dr Debtors

800

 

Dr Corporation tax in P&L

80

 

Cr Corporation tax on balance sheet (CU800*10%)

 

80

Cr interest Income earned (2015) 

 

800

Being journal to release the interest income for the 2015 year and the related tax that would have been charged if this were prepared under FRS 105

In the year ended 31 December 2016:     

 

CU

CU

Dr Opening Reserves

1,440

 

Dr Corporation tax on balance sheet (CU1,600*10%)

 

160

 

Cr Debtors (finance income 2015 & 2016)

 

1,600

Being journal to bring forward the journal posted on transition to defer the interest element and the related tax that would not have been charged under FRS 105

Dr Debtors

800

 

Cr Corporation tax on balance sheet (CU800*10%)

 

 

80

Cr Opening Reserves for 2015 interest Income and tax

 

 

720

Being journal to post the finance income released and related tax in 2015 to profit and loss reserves brought forward

 

CU

CU

Dr Debtors

800

 

Cr Interest Income earned (2016) 

 

800

Being journal to release the interest income for the 2016 year

Dr Corporation tax in P&L

16

 

Cr Corporation tax in balance sheet

 

16

Being journal to reflect the additional deduction for 1/5th of the sale previously taxed up to 31/12/15 under previous GAAP which has therefore fallen out on transition to FRS 105. Note this assumes that the tax journal posted will include the transition tax adjustment for the CU16 when it is finally recognised. If there was no corporation tax in 2016, then the CU16 would still be released as a debit to the P&L as it would be no longer refundable from the tax authorities. As no deferred tax can be recognised under FRS 105 it cannot be held as deferred tax asset on the balance sheet as a timing difference. The remaining CU64 (CU80-CU16) will still be included as an asset at the year end in the corporation tax nominal and released over the remaining 4 yrs.


     5) Financing arrangements which were carried at amortised cost under FRS 102 restated to the transaction price less repayments etc. under            FRS 105.

Under FRS 102 where a financing arrangement exists e.g. where loans are received/advanced which are not repayable on demand and not at market rates, the company must recognise this loan at the present value of the future cash flows at the market rate of interest. Subsequently this was held at amortised cost. Under FRS 102 the following options were available depending on the circumstances for the recognition of the original difference:

FRS 105 does not require this treatment instead such loans should be stated at the actual amount of the loan received/receivable/advanced less repayment plus interest charged if any. There is no discounting required or allowed.

Depending on where the difference was posted under FRS 102, this will dictate where the journals are reversed to on transition to FRS 105. It is unlikely that there will be a corporation tax impact on the derecognition, however regard would have to be had as to how these adjustments were treated for tax purposes under the previous GAAP. This will then drive whether they should or should not be taxed/taxable.


Example 20: Financing arrangements under FRS 102 restated to transaction price under FRS 105 – 

Company A received a long term loan at the start of 2013 of CU150,000 from its parent company which is interest free and repayable on 31 December 2019. This was initially recognised at the present value of the future payments/receipts at the market rate of interest for a similar loan under FRS 102 and subsequently measured at amortised cost. The difference between the present value and the actual amount of the loan was recognised as a capital contribution in the books of the subsidiary (treated as an investment in the subsidiary in the Parent’s books) with the difference unwound in to the P&L on an effective interest rate subsequently. The amortised cost at 1 January 2015, 31 December 2015 and 31 December 2016 was CU116,881, CU122,861 and CU129,146 respectively. Assume the present value at the date of initial recognition was CU110,000. Assume there are no repayments until the maturity date. Assume no corporation tax impact. Assume the unwinding each year is transferred from P&L reserves to reduce the capital contribution in the subsidiary company

Therefore on transition to FRS 105 an adjustment is required to recognise the loan in line with the guidance in FRS 105 (be stated at the actual amount of the loan received/receivable/advanced less repayment plus interest charged if any – no discounting).

The journals required on transition in the books of the Subsidiary are (note these journals are also applicable if this loan was provided by a shareholder/director who is an individual):

On 1 January 2015

 

CU

CU

Dr Capital Contribution (CU150,000-CU116,881)      

33,119

 

Cr Group Loan 

 

33,119

 

In the year ended 31 December 2015:

 

CU

CU

Dr Capital Contribution 

33,119

 

Cr Group Loan

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the capital contribution recognised.

 

Dr Group Loan

(CU122,861-CU116,881)

5,980

 

Cr Interest Expense – 2015

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L

 

Dr P&L Reserves

5,980

 

Cr Capital Contribution  

 

5,980

Being journal to reverse prior GAAP transfer between the capital contribution and the P&L reserve with regard to the unwinding of the discount in 2015


In the year ended 31 December 2016:

 

CU

CU

Dr Capital Contribution

33,119

 

Cr Group Loan

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the capital contribution recognised.

 

Dr Group Loan  (CU122,861-CU116,881)

5,980

 

Cr P&L Reserves – Interest Expense – 2015

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L

 

Dr P&L Reserves

5,980

 

Cr Capital Contribution  

 

5,980

Being journal to reverse prior GAAP transfer between the capital contribution and the P&L reserve with regard to the unwinding of the discount in 2015 (if this was done under FRS 102)

 

Dr Group Loan (CU129,146 -CU122,861)

6,285

 

Cr Interest Expense – 2016

 

6,285

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2016 P&L

 

 

Dr P&L Reserves

6,285

 

Cr Capital Contribution

 

6,285

Being journal to reverse prior GAAP transfer between the capital contribution and the P&L reserve with regard to the unwinding of the discount in 2016 (if this was done under FRS 102)

The journals required on transition for the Parent entity that provided the loan are:

On 1 January 2015

 

 

CU

CU

Dr Group Loan 

33,119

 

Dr P&L Reserves

6,881

 

Cr Investment in Subsidiary (CU150,000-CU110,000)

 

40,000

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the investment recognised.


In the year ended 31 December 2015:

 

CU

CU

Dr Group Loan 

33,119

 

Dr P&L Reserves

6,881

 

Cr Investment in Subsidiary (CU150,000-CU110,000)

 

40,000

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the investment recognised. (this assumes the investment did not have to be subsequently impaired)

 

Dr Interest income – 2015

(CU122,861-CU110,000)

5,980

 

Cr Group loan

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L


In the year ended 31 December 2016:

 

CU

CU

Dr Group Loan 

33,119

 

Dr P&L Reserves

6,881

 

Cr Investment in Subsidiary (CU150,000-CU110,000)

 

40,000

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the investment recognised.

 

Dr P&L Reserves – Interest Income 2015

(CU122,861-CU116,881)

5,980

 

Cr Group loan

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L to reserves

       

 

Dr Interest Income – 2016 (CU129,146 -CU122,861)

6,285

 

Cr Group Loan

 

6,285

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2016 P&L


Example 21: Financing arrangements under FRS 102 restated to transaction price under FRS 105 – 

If take example 20 and this time assume the loan was provided from the subsidiary to the parent company.

The journals required on transition in the books of the Parent are:

On 1 January 2015

 

CU

CU

Dr P&L reserves – Deemed distribution received recognised in P&L (CU150,000-CU116,881)     

33,119

 

Cr Group Loan

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the deemed distribution recognised.


In the year ended 31 December 2015:

 

CU

CU

Dr P&L reserves – Deemed distribution received recognised in P&L (CU150,000-CU116,881)     

33,119

 

Cr Group Loan

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the deemed distribution recognised.

 

Dr Group Loan

(CU122,861-CU116,881)

5,980

 

Cr Interest Expense – 2015

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L


In the year ended 31 December 2016:

 

CU

CU

Dr P&L reserves – Deemed distribution received recognised in P&L (CU150,000-CU116,881)      

33,119

 

Cr Group Loan

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the deemed distribution recognised.

 

 

 

Dr Group Loan  (CU122,861-CU116,881)

5,980

 

Cr P&L Reserves – Interest Expense – 2015

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L

 

Dr Group Loan (CU129,146 -CU122,861)

6,285

 

Cr Interest Expense – 2016

 

6,285

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2016 P&L

The journals required on transition for the Subsidiary entity that provided the loan are (note this journal is also applicable where a loan was provided by a company to its shareholder (who is an individual) at non market rates etc.):

On 1 January 2015

 

CU

CU

Dr Group Loan 

33,119

 

Cr Distribution in equity (CU150,000-CU116,881)      

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the distribution recognised.


In the year ended 31 December 2015:

 

CU

CU

Dr Group Loan 

33,119

 

Cr Distribution in equity (CU150,000-CU116,881)      

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the distribution recognised.

 

Dr P&L Reserves Interest income – 2015

(CU122,861-CU116,881)

5,980

 

Cr Group loan

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L


In the year ended 31 December 2016:

 

CU

CU

Dr Group Loan 

33,119

 

Cr Distribution in equity (CU150,000-CU116,881)      

 

33,119

Being journal to restate the loan balance in line with FRS 105 rules at the date of transition and derecognise the distribution recognised.

 

Dr P&L Reserves Interest income – 2015

(CU122,861-CU116,881)

5,980

 

Cr Group loan

 

5,980

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2015 P&L

       

 

Dr Interest Income – 2016 (CU129,146 -CU122,861)

6,285

 

Cr Group Loan

 

6,285

Being journal to reverse the unwinding of the discount recognised under FRS 102 in the 2016 P&L


     6) Derivatives recognised at fair value under FRS 102 – not permitted under FRS 105 (difference only applicable to FRS 102 adopters as the t           treatment for FRSSE/old GAAP is the same as is required under FRS 105)

Under FRS 105 derivatives must be carried at cost less impairment and released to the P&L over the life of the contract. They cannot be fair valued. This was the same treatment as was required under FRSSE/Old GAAP.

FRS 102 on the other hand required that such derivatives be fair valued. Therefore where a company had previously carried these at fair value under FRS 102 they will need to be derecognised under FRS 105.

Where hedge accounting was adopted any deferred tax recognised would have to be derecognised as part of the overall derecognition of deferred tax. Where the fair value was recognised in the P&L as opposed to OCI then there will be corporation tax consequences. Any items which fall out for tax purposes will have to be taxed/tax deductible over a 5 year period from year ended 31 December 2016 on (this relates to the net adjustment at the end of the comparative year).


Example 22: Derecognition of derivatives   

Company A entered into a number of forward foreign currency contracts. Details of the contracts including costs and fair values open at each period end were as follows:

As FRS 105 does not permit fair valuing of derivatives an adjustment is required on transition to restate it to unamortised cost. FRS 105 does require disclosure of these forward contracts in the financial statements. Assume the corporation tax rate is 10% and hedge accounting was not applied under FRS 102.

Assume that the net transition adjustment at the end of the comparative year is taxable over a 5 year period. 

The journals required on transition are:

On 1 January 2015

 

CU

CU

Dr P&L reserves

44,280

 

Dr Corporation tax on balance sheet (49,200*10%)

4,920

 

Cr Derivatives (CU50,000-CU800)

 

49,200

Being journal to derecognise the fair value and restate to un-amortised cost


In the year ended 31 December 2015:

 

CU

CU

Dr P&L reserves (CU50,000-CU800)

44,280

 

Dr Corporation tax on balance sheet (49,200*10%)

4,920

 

Cr Derivatives

 

49,200

Being journal to derecognise the fair value and restate to un-amortised cost at the date of transition and to restate the corporation tax balance to the FRS 105 balance

 

Dr Derivatives

((CU50,000-CU30,000)-(CU800-CU300))

19,500

 

Cr Admin expenses – 2015 – Movement in Fair value of derivatives

 

19,500

Dr Corporation tax in P&L (CU19,500*10%)

1,950

 

Cr Corporation tax in balance sheet

 

1,950

Being journal to reverse fair value adjustment recognised under FRS 102 inc tax in 2015 so as to show the correct tax under FS 105


In the year ended 31 December 2016:

 

CU

CU

Dr P&L reserves (CU50,000-CU800)

44,280

 

Dr Corporation tax on balance sheet (49,200*10%)

4,920

 

Cr Derivatives

 

49,200

Being journal to derecognise the fair value and restate to un-amortised cost at the date of transition

 

Dr Derivatives

((CU50,000-CU30,000)-(CU800-CU300))

19,500

 

Cr P&L reserves – 2015 – Movement in Fair value of derivatives net of tax

 

17,550

Cr Corporation tax in balance sheet

 

1,950

Being journal to reverse fair value adjustment recognised under FRS 102 including tax in 2015 so as to show correct tax under FRS105

 

 

 

 

CU

CU

Dr Admin expenses – 2016 – Movement in Fair value of derivatives

 

 

4,900

 

Cr Derivatives

((CU35,000-CU30,000)-(CU400-CU300))

 

 

 

4,900

Being journal to reverse fair value adjustment recognised under FRS 102 in 2016

 

Dr Corporation tax in P&L

((CU30,000-300)/5 yrs= CU5,940*10%)

594

 

Cr Corporation tax in balance sheet

 

594

Being journal to reflect the additional deduction for 1/5th of the derivative previously taxed up to 31/12/15 which will taxed again in the future when the contract matures under FRS 105. Note this assumes that the tax journal posted will include the transition tax adjustment for the CU594 when it is finally recognised. If there was no corporation tax in 2016, then the CU594 would still be released as a credit to the P&L as it would be no longer payable to the tax authorities. As no deferred tax can be recognised under FRS 105 it cannot be held as a deferred tax asset on the balance sheet as a timing difference. The remaining CU2,376 (CU2,970-CU594) will still be included as an asset at the year end in the corporation tax nominal and released over the remaining 4 yrs.

 

     7) Financial assets/liabilities measured at fair value under FRS 102 restated to cost under FRS 105 (difference only applicable to FRS 102                adopters as the treatment for FRSSE/old GAAP is the same as is required under FRS 105
FRS 102 requires financial assets/liabilities which were non basic to be measured at fair value initially with movements in fair value recognised in the P&L. FRS 105 requires these to be stated at cost and if there are commitments, these must be disclosed. Examples of items fair valued under FRS 102 would be

On transition if such items exist, the journals stated above in example 22 would be applicable (corporation tax may not be applicable for the second item mentioned above however deferred tax would be).

      8) Required to book temporary impairments under FRS 105 not required under FRSSE/old GAAP (difference only applicable to FRSSE/old                 GAAP adopters).

Under FRS 105 there is a requirement to book an impairment where an indicator of impairment exists even for temporary differences. This same treatment is required under FRS 102. However under old GAAP/FRSSE entities could apply the held to maturity model. Therefore if under FRSSE/old GAAP an entity used the held to maturity model and did not book a temporary impairment an adjustment will be required on transition.


Example 23: Previously applied held to maturity – impairment not booked

Company A had an investment in a government bond which cost €100,000 in 2013. At 31 December 2014, 2015 and 2016 the market value of bond was CU70,000, CU80,000 and CU90,000 respectively. Assume the bond was issued at par.

Under old GAAP the company adopted the held to maturity model and therefore held the bond at CU100,000 every year in the financial statements.

Adjustments required on transition:

On 1 January 2015

 

CU

CU

Dr P&L reserves (CU100,000-CU70,000)

30,000

 

Cr Government bond

 

30,000

Being journal to recognise temporary impairment at the date of transition


In the year ended 31 December 2015:

 

CU

CU

Dr P&L reserves (CU100,000-CU70,000)

30,000

 

Cr Government bond

 

30,000

Being journal to recognise temporary impairment at the date of transition

 

Dr Government bond (CU80,000-CU70,000)

10,000

 

Cr reversal of impairment of financial asset in P&L 2015

 

10,000

Being journal to recognise reverse some of impairment in 2015 year not required under FRSSE as held to maturity option availed of.

In the year ended 31 December 2016:

 

CU

CU

Dr P&L reserves (CU100,000-CU70,000)

30,000

 

Cr Government bond

 

30,000

Being journal to recognise temporary impairment at the date of transition

 

Dr Government bond (CU80,000-CU70,000)

10,000

 

Cr P&L reserves – 2015 – reversal of impairment of financial asset in P&L

 

10,000

Being journal to recognise reverse some of impairment in 2015 year not required under FRSSE as held to maturity option availed of.

 

 

CU

CU

Dr Government bond (CU90,000-CU80,000)

10,000

 

Cr reversal of impairment of financial asset in P&L 2015

 

10,000

Being journal to recognise reverse some of impairment in 2016 year not required under FRSSE as held to maturity utilised availed of

     9) Material transaction costs incorrectly expensed under FRSSE/old GAAP – (applicable to entities transitioning from FRSSE/Old GAAP where not correctly accounted for under those standards)
FRS 105 requires transaction costs where material to be set against the related asset/liability (where it does not relate to fixed assets including investment in shares) and released to the profit and loss accounted on a straight line basis over the life of the related financial instrument. FRSSE/old GAAP required similar treatment however it was not always applied in practice. Therefore on transition where material transaction fees have been expensed an adjustment will be required to correct this error.

As detailed in 3 above there will be a corporation tax impact as a result of this adjustment which will be taxable over 5 years from the year ended 31 December 2016. Note an adjustment is posted for corporation tax such that the corporation tax would be equal to what it would have been had FRS 105 applied from inception.


Example 24: Material transaction costs incorrectly expensed under FRSSE/old GAAP – (applicable to entities transitioning from FRSSE/Old GAAP where not correctly accounted for under those standards)

Company A incurred arrangement fees on a loan of CU10,000 on a loan received from the bank for CU100,000 on 1 January 2014 which is repayable over 5 years). Assume for the purposes of this example that this was considered material. This was incorrectly expensed under old GAAP. FRS 105 as did old GAAP required transaction costs where material to be set against the related asset/liability (where it does not relate to fixed assets including investment in shares) and released to the profit and loss accounted on a straight line basis over the life of the related financial instrument. Assume the date of transition is 1 January 2015 and the corporation tax rate is 10%.

The amount that should have been expensed in the 2014 year is CU2,000 (CU10,000//5 years). The amount to be released each year to the P&L is CU2,000.

Therefore an adjustment is required on transition.

The company will also be taxed for corporation tax purposes for the amount previously allowed as a deduction at 31 December 2015 over a 5 year period in line with revenue rules (this amount has previously been allowed as a tax deduction in the tax computation and this expense will be recognised again under FRS 105 in the future, hence a liability is due for tax previously refunded). Therefore an addback of CU1,000 (CU6,000/5yrs), CU120 (CU1,200*10%) in tax terms will be added back in the tax computation for 31 December 2016 and for a further 4 years. An adjustment will be required for corporation tax purposes as a result on transition.

The journals required on transition are:

On 1 January 2015

 

CU

CU

Dr Loan Liability 

8,000

 

Cr Opening Reserves

 

7,200

Cr Corporation tax on balance sheet (CU8,000*10%)

 

 

800

Being journal to capitalise the unamortised transaction costs at the date of transition inc. the tax impact if FRS 105 had of applied from inception 

 


In the year ended 31 December 2015:

 

CU

CU

Dr Loan Liability 

8,000

 

Cr Opening Reserves

 

7,200

Cr Corporation tax on balance sheet (CU8,000*10%)

 

 

800

Being journal to capitalise the unamortised transaction costs at the date of transition inc. the tax impact if FRS 105 had of applied from inception 

 

Dr interest expense in P&L (2015) 

 

2,000

 

Dr Corporation tax in balance sheet (CU2,000*10%)

 

200

 

Cr Corporation tax in P&L

 

200

Cr Loan Liability

 

2,000

Being journal to release the interest expense for the 2015 year and the related tax that would have been charged if this were prepared under FRS 105

In the year ended 31 December 2016: 

 

CU

CU

Dr Loan Liability 

8,000

 

Cr Opening Reserves

 

7,200

Cr Corporation tax on balance sheet (CU8,000*10%)

 

 

800

Being journal to capitalise the unamortised transaction costs at the date of transition inc. the tax impact if FRS 105 had of applied from inception 

 

 

Dr P&L Reserves for interest expense (2015) net of tax

 

1,800

 

Dr Corporation tax in balance sheet (CU2,000*10%)

 

200

 

Cr Loan Liability

 

2,000

Being journal to release the interest expense for the 2015 year and the related tax that would have been charged if this were prepared under FRS 105

 

 

CU

CU

Dr interest expense in P&L (2015) 

 

2,000

 

Dr Corporation tax in balance sheet (CU2,000*10%)

 

200

 

Cr Corporation tax in P&L

 

200

Cr Loan Liability

 

2,000

Being journal to release the interest expense for the 2016 year

 

Dr Corporation tax in balance sheet

120

 

 

Cr Corporation tax in P&L

 

120

 

Being journal to reflect the additional addback for 1/5th of the expense deduction previously taken up to 31/12/15 under previous GAAP which will be brought in again on transition to FRS 105. Note this assumes that the tax journal posted will include the transition tax adjustment for the CU120 when it is finally recognised. If there was no corporation tax in 2016, then the CU120 would still be released as a credit to the P&L as it would be no longer payable to the tax authorities. As no deferred tax can be recognised under FRS 105 it cannot be held as deferred tax liability on the balance sheet as a timing difference. The remaining CU480 (CU600-CU120) will still be included as an asset at the year end in the corporation tax nominal and released over the remaining 4 yrs.

 

     10) Material transaction costs released to the P&L over the life of the instrument on the effective interest rate basis as opposed to a straight                line basis- (applicable to entities transitioning from FRS 102)

FRS 105 requires transaction costs where material to be set against the related asset/liability (where it does not relate to fixed assets including investment in shares) and released to the profit and loss accounted on a straight line basis over the life of the related financial instrument.

FRS 102 requires these costs to be capitalised as per FRSSE however they should be released on an effective interest rate basis. Therefore on transition where material transaction fees arise an adjustment may be required to show the carrying amount of the instrument at the amount of the financial asset/liability plus (if asset), minus (if liability) the unamortised portion of the costs when using the straight line basis as opposed to using the effective interest rate basis.

There will be a corporation tax impact as a result of this adjustment which will be tax deductible over 5 years from the year ended 31 December 2016. Note an adjustment is posted for corporation tax such that the corporation tax would be equal to what it would have been had FRS 105 applied from inception.


Example 25: Material transaction costs released to the P&L over the life of the instrument on the effective interest rate basis as opposed to a straight line basis- (applicable to entities transitioning from FRS 102)

Company A incurred arrangement fees on a loan of CU10,000 on a loan received from the bank for CU100,000 on 1 January 2014 which is repayable over 5 years). Assume for the purposes of this example that this was considered material.

These costs were debited against the loan liability and released to the P&L on an effective interest rate basis in line with the loan balance. The carrying amount of the costs in FRS 102 accounts at 1 January 2015, 31 December 2015 and 31 December 2016 was CU8,800, CU7,400 and CU5,800 respectively.

FRS 105 requires transaction costs where material to be set against the related asset/liability (where it does not relate to fixed assets including investment in shares) and released to the profit and loss accounted on a straight line basis over the life of the related financial instrument. Assume the date of transition is 1 January 2015 and the corporation tax rate is 10%.

The amount that should have been expensed in the 2014 year is CU2,000 (CU10,000//5 years) i.e. amount at transition should have been CU8,000. The amount to be released each year to the P&L is CU2,000.

Therefore an adjustment is required on transition.

The company will also get a tax deduction for corporation tax purposes for the amount not previously allowed as a deduction at 31 December 2015 over a 5 year period in line with revenue rules (this amount has not previously been allowed as a tax deduction in the tax computation and this expense will not be recognised again under FRS 105 in the future, hence an asset is due for tax previously paid). Therefore an addback of CU280 (CU7,400-CU6,000)/5yrs), CU28 (CU280*10%) in tax terms will be allowed as a deduction in the tax computation for 31 December 2016 and for a further 4 years. An adjustment will be required for corporation tax purposes as a result on transition.

The journals required on transition are:

On 1 January 2015

 

CU

CU

Dr Opening Reserves

720

 

Dr Corporation tax on balance sheet (CU800*10%)

 

80

 

Cr Loan Liability (CU8,800-CU8,000)

 

800

Being journal to capitalise the unamortised transaction costs at the date of transition inc. the tax impact if FRS 105 had of applied from inception 

 


In the year ended 31 December 2015:

 

CU

CU

Dr Opening Reserves

720

 

Dr Corporation tax on balance sheet (CU800*10%)

 

80

 

Cr Loan Liability (CU8,800-CU8,000)

 

800

Being journal to capitalise the unamortised transaction costs at the date of transition inc. the tax impact if FRS 105 had of applied from inception 

 

 

Dr interest expense in P&L (2015)  (CU2,000-CU1,400)

 

600

 

Dr Corporation tax in balance sheet (CU600*10%)

 

60

 

Cr Corporation tax in P&L

 

60

Cr Loan Liability

 

600

Being journal to release the interest expense for the 2015 year and the related tax that would have been charged if this were prepared under FRS 105

In the year ended 31 December 2016:

 

CU

CU

Dr Opening Reserves

720

 

Dr Corporation tax on balance sheet (CU800*10%)

 

80

 

Cr Loan Liability (CU8,800-CU8,000)

 

800

Being journal to capitalise the unamortised transaction costs at the date of transition inc. the tax impact if FRS 105 had of applied from inception 

 

 

 

Dr P&L Reserves for interest expense (2015) net of tax

 

540

 

Dr Corporation tax in balance sheet (CU600*10%)

 

60

 

Cr Loan Liability

 

600

Being journal to release the interest expense for the 2015 year and the related tax that would have been charged if this were prepared under FRS 105

 

 

CU

CU

Dr interest expense in P&L (2016)  (CU2,000-CU1,600)

 

400

 

Cr Loan Liability

 

400

Being journal to release the interest expense for the 2016 year

 

Dr Corporation tax in P&L

28

 

Cr Corporation tax in balance sheet

 

 

28

Being journal to reflect the additional deduction for 1/5th of the expense not previously taken up as deduction up to 31/12/15 under previous GAAP. Note this assumes that the tax journal posted will include the transition tax adjustment for the CU28 when it is finally recognised. If there was no corporation tax in 2016, then the CU28 would still be released as a debit to the P&L as it would be no longer refundable from the tax authorities. As no deferred tax can be recognised under FRS 105 it cannot be held as a deferred tax asset on the balance sheet as a timing difference. The remaining CU112 (CU140-CU28) will still be included as an asset at the year end in the corporation tax nominal and released over the remaining 4 yrs.

Note if in fact in this example, the cost was capitalised and being released on a straight line basis but instead of being set against the loan liability under previous GAAP it was set included in prepaids, a reclassification adjustment would be required to debit loan liability and credit prepaids at each period end.

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