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Content

30.1 Scope.

30.2 Functional currency.

30.2.2 OmniPro comment

30.2.2.1 Overview.

30.2.2.2 Assessment of functional currency.

30.2.2.2.1 Steps involved in determining functional currency.

30.2.2.2.1.1 Review the primary indicators.

30.2.2.2.1.2 Review the secondary indicators (if required)

30.2.2.2.1.3 Review additional factors where still in conclusive from step 1 and 2.

30.2.2.3 Definition of foreign operation.

30.2.2.4 Requirements to review each entity individually.

30.2.2.5 Examples of determining a functional currency.

30.2.2.5.1 Intermediary holding company.

30.2.2.5.2 Function currency – foreign currency sales.

30.2.2.6 Rules with regard to a change in functional currency.

30.3 Reporting foreign currency transactions in the functional currency – Initial recognition and subsequent measurement (where they exist at the balance sheet date)

30.3.1 Extract from FRS102: Section 30.6 -30.11.

30.3.2 OmniPro comment

30.3.2.1 Monetary items.

30.3.2.1.1 Definition of monetary items.

30.3.2.1.2 Examples of monetary items.

30.3.2.1.3 Recognition of monetary items.

30.3.2.1.3.1 Initial recognition.

30.3.2.1.3.1.1 Determining the date of the transaction.

30.3.2.1.3.1.2 Rules for using average rate as approximation for actual spot rate.

30.3.2.1.3.2 Subsequent measurement

30.3.2.1.3.2.1 The two exceptions to retranslating monetary assets at period end rate.

30.3.2.1.3.3 Retranslation of monetary asset – purchase.

30.3.2.1.3.4 Retranslation of monetary asset – sale.

30.3.2.2 Non-monetary items.

30.3.2.2.1 Definition of non-monetary items.

30.3.2.2.1.1 Examples of non-monetary items.

30.3.2.2.2 Measurement

30.3.2.2.2.1. Non-monetary assets not fair valued.

30.3.2.2.2.1.1 Initial recognition.

30.3.2.2.2.1.2 Subsequent measurement

30.3.2.2.2.1.3 Impairment

30.3.2.2.2.1.4 Examples.

30.3.2.2.2.1.4.2 Retranslation of non-monetary asset – impairment of asset

30.3.2.2.2.2 Non-monetary assets fair valued.

30.3.2.2.2.2.1 Initial recognition.

30.3.2.2.2.2.2 Subsequent measurement

30.4 Net investment in a foreign operation.

30.4.1 Extract from FRS102: Section 30.12 -30.13.

30.4.2 OmniPro comment

30.4.2.1 Definition of net investment in a foreign operation.

30.4.2.2 Requirements for the net investment in a foreign operation treatment

30.4.2.3 Accounting for a net investment in a foreign operation.

30.4.2.3.1 Individual entity financial statements.

30.4.2.3.2 Consolidated financial statements.

30.4.2.4 Example – Net investment in a foreign operation.

30.5 Change in functional currency.

30.5.1 Extract from FRS102: Section 30.14 -30.16.

30.5.2 OmniPro comment

30.5.2.1 When can a change in functional currency arise.

30.5.2.1.1 Change in functional currency due to a change in circumstances.

30.5.2.1.2 Change in functional currency due to an error

30.5.2.2 How to account for a change in functional currency due to a change in currency.

30.6 Use of a presentation currency other than the functional currency.

30.6.1 Extract from FRS102: Section 30.17-30.21.

30.6.2 OmniPro comment

30.7 Translation of a foreign operation into the investor’s presentation currency.

30.7.1 Extract from FRS102: Section 30.22-30.23.

30.7.2 OmniPro comment

30.7.2.1 The Rules.

30.7.2.1.1 Treatment of amount recognised in OCI on future disposal

30.7.2.2 Goodwill recognized on acquisition of a foreign operation.

30.7.2.3 Examples.

30.8 Disclosures.

30.8.1 Extract from FRS102: Section 30.24 -30.27.

30.8.2 OmniPro comment

30.8.2.1 Overview.

30.8.2.2 Accounting policies.

30.8.2.3 Notes to the financial statements.

30.8.2.3.1 Extract from the financial statements – operating profit note.

30.8.2.3.2 Example of a change of functional currency due a change in circumstance i.e. adjusted prospectively (application of Section 30.27of FRS 102)

30.8.2.3.3 Example of a Prior year adjustment due to a change in functional currency.

30.8.2.4 Extract from other comprehensive income showing foreign exchange differences on retranslation 

 

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30.2 Functional currency
30.2.1 Extract from FRS102: Section 30.2 -30.5

30.2  Each entity shall identify its functional currency. An entity’s functional currency is the currency of the primary economic environment in which the entity operates.

30.3  The primary economic environment in which an entity operates is normally the one in which it primarily generates and expends cash. Therefore, the following are the most important factors an entity considers in determining its functional currency:

(a)  the currency:

(i)  that mainly influences sales prices for goods and services (this will often be the currency in which sales prices for its goods and services are denominated and settled); and

(ii)  of the country whose competitive forces and regulations mainly determine the sales prices of its goods and services; and

(b)  the currency that mainly influences labour, material and other costs of providing goods or services (this will often be the currency in which such costs are denominated and settled).

30.4  The following factors may also provide evidence of an entity’s functional currency:

(a)  the currency in which funds from financing activities (issuing debt and equity instruments) are generated; and

(b)  the currency in which receipts from operating activities are usually retained.

30.5  The following additional factors are considered in determining the functional currency of a foreign operation, and whether its functional currency is the same as that of the reporting entity (the reporting entity, in this context, being the entity that has the foreign operation as its subsidiary, branch, associate or joint venture):

(a)  Whether the activities of the foreign operation are carried out as an extension of the reporting entity, rather than being carried out with a significant degree of autonomy. An example of the former is when the foreign operation only sells goods imported from the reporting entity and remits the proceeds to it. An example of the latter is when the operation accumulates cash and other monetary items, incurs expenses, generates income and arranges borrowings, all substantially in its local currency.

(b)  Whether transactions with the reporting entity are a high or a low proportion of the foreign operation’s activities.

(c)  Whether cash flows from the activities of the foreign operation directly affect the cash flows of the reporting entity and are readily available for remittance to it.

(d)  Whether cash flows from the activities of the foreign operation are sufficient to service existing and normally expected debt obligations without funds being made available by the reporting entity

30.2.2 OmniPro comment
30.2.2.1 Overview

A key starting point with regard to defining what currency is a foreign currency for an entity is the assessment of the entity’s functional currency. The functional currency is the currency of the primary economic environment in which the entity operates as stated in Section 30.2 of FRS 102 Any currency which is not the entity’s functional currency is then a foreign currency, under which the rules of Section 30 are followed.

It is clear that every entity has its own functional currency including group companies, so every entity should review its own circumstances to determine its functional currency. Section 30.3 of FRS 102 identifies the primary indicators of an entity’s functional currency and Section 30.4 of FRS 102 provides secondary indicators. Other factors which are considered are provided in Section 30.5 of FRS 102.

30.2.2.2 Assessment of functional currency

In determining a functional currency more weight is given to the primary indicators, before considering the secondary and other evidence which are purely provided to give supporting evidence to determine an entity’s functional currency.

30.2.2.2.1 Steps involved in determining functional currency

The steps involved in determining a functional currency in order of priority are:

30.2.2.2.1.1 Review the primary indicators

Section 30.3 of FRS 102 provides the primary indicators that determine an entity’s functional currency.

  1. Review the primary indicators to provide evidence of the functional currency (as stated in Section 30.3 of FRS 102). The steps involved are as follows:

–  Determine the currency of the primary sales and cash inflows (Section 30.3 (a) of FRS 102) – this will often be the currency in which the sales prices for its goods and services are denominated and settled. Questions to ask include:

–   What currency are the principal sales invoices raised in?

–   What currency are sales contracts determined in?

–   What currency are cash receipts in?

–  Determine the currency of primary purchases and cash outflows as per (Section 30.3(b) of FRS 102) – this will often be the currency in which the costs are denominated and settled. Questions to ask include:

–  What currency are the principal expenses incurred in?

When reviewing the above indicators, an entity assesses what currency the majority of the costs and sales are denominated in. (Section 30.3 of FRS 102)

If there is still doubt from reviewing the above primary factors an entity should then move to the secondary factors to see if this can provide further support.

30.2.2.2.1.2 Review the secondary indicators (if required)

2. Secondary indicators merely provide supporting evidence in determining a functional currency. The questions to ask are:

–  What is the currency in which the entity is finance (financing activities) i.e. the currency in which debt is raised and equity is obtained. (Section 30.4(b) of FRS 102)

–  Where financing is raised in and serviced by funds primarily generated by the entity’s local operation, this could indicate that the local currency is the functional currency.

–  What currency is the operating income retained or is it retained. (Section 30.4(b) of FRS 102) Indicators of this would be the local currency in which the entity maintains its excess working capital balance.

If there is still doubt from reviewing the above secondary factors an entity should then move to step 3 where relevant to see if this can provide further support.

30.2.2.2.1.3 Review additional factors where still in conclusive from step 1 and 2

3) Where an entity is a subsidiary, associate, joint venture or branch then if steps 1 and 2 do not provide conclusive evidence, the entities should review:

–  The degree of autonomy the entity has from its parent. (Section 30.5(a) of FRS 102)

Indicators of significant autonomy and therefore indicating that the entity has a different functional currency to the parent include:

–  Ability to enter into its own contracts

–  Ability to negotiate its own finance

–  Ability to determine how it invests excess cash

–  Not merely an entity that sells goods on behalf of its parent and then transfers cash to the parent.

–  Frequency of transactions with reporting entity. (Section 30.5(b) of FRS 102)

–  Indicators that the entity has the same functional currency to its parent include:

–  Frequent intercompany transactions and trading dealings with the parent company.

–  Cash flow impact on reporting entity (parent company) (Section 30.5(c) of FRS 102) Indicators that there is little impact on the cash flows of the parent:

–  No significant cash flow impact as the foreign entity can hold its own cash in its local currency and determine what to invest this in. It does not have to remit funds regularly.

– Financing. (Section 30.5(d) of FRS 102)

Indicators that the entity has a different functional currency to its parent include:

– Financing being obtained in the local currency and serviced by funds generated in the foreign operation. Little or no financing provided by the parent.

30.2.2.3 Definition of foreign operation

Appendix 1 of FRS 102 defines a foreign operation as ‘an entity that is a subsidiary, associate, joint venture or branch of a reporting entity, the activities of which are based or conducted in a country or currency other than those of the reporting entity’.

30.2.2.4 Requirements to review each entity individually

For some entities it will be very easy to determine a functional currency however for others it may not be. Judgement will be required. More weight should be put on the primary indicators.

Each entity’s circumstances must be looked at in isolation, it cannot be reviewed from a group perspective.

30.2.2.5 Examples of determining a functional currency
30.2.2.5.1 Intermediary holding company

Example 1: Intermediary holding company

UK Parent A is a UK company with a functional currency as CU. It has a 100% subsidiary called Intermediate Co which in turn owns 100% of a trading subsidiary Company B whose functional currency is FC.

The Intermediate Co merely holds the investment in Company B and obtains FC borrowings from the bank to make this investment. The borrowings are guaranteed by Parent UK Co.

In this instance what is the functional currency of Intermediate Co?

Applying the guidance in Section 30.3 to 30.5 as follows:

Primary indicators:

Secondary indicators:

Factors specific to foreign operations:

Based on the facts and circumstances outlined Intermediate Co’s functional currency should be CU and not FC.


Example 2: Intermediate holding Company

If we take example 1 and this time assume that no bank borrowings was obtained and instead UK Parent Co provided the loan finance or equity finance. In this case the same determination would be obtained i.e. the functional currency of Intermediate Co is CU.


Example 3: Intermediate holding Company

If we take example 1 and in this case the money to fund the investment in Company B is obtained from a sister company. In this case the functional currency of the Intermediate Co would likely be the functional currency of the sister company.

30.2.2.5.2 Function currency – foreign currency sales

Example 4: Functional currency

Company A is a trading company resident in France (with a functional currency of CU). Company A predominately sells its goods in CU with 30% of sales being made in FC. The company’s principal costs are wages and stock purchases. These are all paid in CU.

Based on the primary indicators, the functional currency of Company A is CU. The secondary indicators do not need to be reviewed as it is clear from the primary indicators.


Example 5: Functional currency

Company A is a trading company resident in France (with a functional currency of CU). Company A predominately sells its goods in CU with 30% of sales being made in FC. The company’s principal costs are wages and stock purchases. These are mainly denominated and settled in FC.

The company is financed through CU borrowings.

In this case the primary indicators do not give conclusive evidence so therefore one must move to the secondary indicators. The secondary indicators are financing activities and from review of same we can see that this is carried out in CU.

On this basis it would appear the functional currency is CU.


30.2.2.6 Rules with regard to a change in functional currency

The functional currency should remain the same and cannot change unless there is a change in the business operations. See how a change in functional currency would be disclosed at 30.8.2.4 and a change due to an error in the previous periods at 30.8.2.3.3. See further details at 30.5.2

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Examples

Example 1: Intermediary holding company.

Example 2: Intermediate holding Company.

Example 3: Intermediate holding Company.

Example 4: Functional currency.

Example 5: Functional currency.

Example 6: Retranslation of monetary asset – purchase.

Example 7: Retranslation of monetary asset – sale.

Example 8: Retranslation of non-monetary asset

Example 9: Retranslation of non-monetary asset – impairment of asset

Example 10: Net investment in a foreign operation.

Example 11: Change in functional currency due to a change in circumstances.

Example 12: Presentational currency.

Example 13: Consolidation of a foreign operations results.

Example 14: Extract from notes to the accounting policies.

Example 15: Example of a change of functional currency due a change in circumstance i.e. adjusted prospectively (application of Section 30.27of FRS 102)

Example 16: Example of a Prior year adjustment due to a change in functional currency.

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