IAS 1 Amendments - Classification of Liabilities as Current or Non-current
- Completed
- Completed
- Didrik Thrane-Nielsen, Monica Franceschini, Ioana Kiss
Description
On 10 February 2015, the IASB published the ED/2005/1 Classification of Liabilities and requested comments by 10 June 2015. The proposed amendments were designed to improve presentation in financial statements by clarifying the criteria for the classification of a liability as either current or non-current. The proposed amendments intend to:
- clarify that the classification of a liability as either current or non-current is based on the entity’s rights at the end of the reporting period; and
- make clear the link between the settlement of the liability and the outflow of resources from the entity.
EFRAG Comment Letter
EFRAG published its draft comment letter on 24 March 2015 and its final comment letter on 22 June 2015. EFRAG agreed with the IASB’s objective to clarify the requirements in IAS 1 Presentation of Financial Statements on classification of liabilities and remove some inconsistencies in the terms used in the Standard. In EFRAG’s view, the proposals in the ED were likely to result in greater consistency in applying the principles in IAS 1 and therefore in relevant financial information.
EFRAG also recommended, to avoid further diversity in practice, that the IASB provides additional guidance in situations where the rights to defer settlement of a liability are subject to conditions that occur and are assessed after the end of the reporting period and in situations where liabilities can be settled through the issuance of shares at the option of the counterparty.
Finally, EFRAG suggested that the IASB further explores whether current guidance always provides the most relevant information including in circumstances when rights to defer settlement are not substantive as of the reporting period. It seems most appropriate if the IASB looked at this issue as part of its ongoing activities in the Disclosure Initiative project.
On 29 July 2015, EFRAG published its feedback statement, summarising responses received to its draft comment letter, on the IASB's Exposure Draft.
At its December 2015 meeting, the IASB discussed the feedback on the Exposure Draft Classification of Liabilities (Proposed amendments to IAS 1).
At its April 2016 meeting, the IASB decided that the remaining redeliberations of the comments received will be held back until after the IASB has redeliberated the definitions of assets and liablities in the Conceptual Framework exposure draft.
Published amendment and upcoming discussions
- The amendments specify that the conditions which exist at the end of the reporting period are those which will be used to determine if a right to defer settlement of a liability exists.
- Management expectations about events after the balance sheet date, for example on whether a covenant will be breached, or whether early settlement will take place, are not relevant.
- The amendments clarify the situations that are considered settlement of a liability.
After the issuance of the DEA, the IFRS IC were informed that stakeholders could find it difficult to determine whether it has ‘the right to defer settlement’ when a long-term liability is subject to a condition and the borrower’s compliance with the condition is tested at dates after the end of the reporting period. Therefore, at its December 2020 meeting the IFRS IC discussed this matter by use of examples and published a Tentative Agenda Decision.
On 22 June 2021 the IASB tentavely decided to amend IAS 1 so that:
- it specifies that if the right to defer settlement for at least 12 months is subject to an entity complying with conditions after the reporting period, then those conditions would not affect whether the right to defer settlement exists at the end of the reporting period (the reporting date) for the purposes of classifying a liability as current or non-current; and
- for non-current liabilities subject to conditions, an entity is required to disclose information about:
- the conditions;
- whether the entity would comply with the conditions based on its circumstances at the reporting date; and
- whether and how the entity expects to comply with the conditions by the date on which they are contractually required to be tested.
The IASB tentatively decided to amend IAS 1 to require that an entity present separately in its statement of financial position ‘non-current liabilities subject to conditions in the next 12 months’. This line item would include liabilities classified as non-current for which the right to defer settlement for at least 12 months is subject to the entity complying with conditions after the reporting date.
The IASB confirmed deferring the effective date of the amendments by at least one year so that they apply to annual reporting periods beginning no earlier than on or after 1 January 2024.
Publication of the new amendment
In November 2021 the IASB published ED/2021/9 Non-current Liabilities with Covenants (proposed amendments to IAS 1). The amendment aims to improve the information an entity provides when its right to defer settlement of a liability for at least twelve months is subject to compliance with conditions, in addition to addressing concerns about the classification of such a liability as current or non-current. The amendment specifically addresses the concerns that were raised as part of the IFRS IC submissions with regard to covenants that are specifically negotiated due to seasonality reasons where compliance is required within 12 months after the reporting period end. Such specified conditions (e.g., covenants) are not affecting the right to defer payment for a liability for at least 12 months after the reporting period resulting in non-current classification of the liability. Additionally, to such specified conditions the IASB also addresses other conditions where current classifiaction should be required from their perspective (e.g., financial guarantees and insurance liabilities). Moreover, the amendment requires a separate presentation of those liabilities and also certain dislcosures, also from a forward-looking perspective. The proposals suggest initial application of the the "old" and the "new" amendment in 2024.
EFRAG Comment Letter
EFRAG has published its Comment Letter on 29 March 2022. EFRAG supports the ED's requirement to classify liabilities with covenants as non-current when compliance is required after the reporting period end. However, EFRAG has concerns about other aspects of the proposals that regulate the classification of liabilities with "other conditions" as current or non-current and thus recommends to the IASB to delete the respective paragraph while requesting the IASB to further consider paragraph 72C(a) in the light of the amendment focusing on covenants. Otherwise the paragraphs link to discretation of repayment could lead to divergent interpretations. EFRAG recommends that the IASB consider the broader issue, also for other conditional provisions, from a conceptual perspective. EFRAG disagrees with a separate presentation on the face of the statements of financial position for liabilities with covenants where compliance is required within 12 months after the reporting period end and with parts of the disclosures under paragraph 76ZA(b)(iii) that require an entity to dislcose forward-looking information. EFRAG has concerns that the scope of disclosures, same as for separate persentation, is too broad, thus disclosures should be required only where uncertainties above a probability threshold, that will have to be defined, exist.
In November 2022, the IASB published the Amendmenst to IAS 1 Non-current Liabilities with Covenants. EFRAG issued its Draft Endorsement Advice on the IAS 1 amendments in December 2022 and requests comments until 1 March 2023.
EFRAG endorsement advice
Documents
Project news
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05/04/2023 - EFRAG's Endorsement Advice On Amendments to IAS 1
EFRAG has completed its due process regarding the Amendments to IAS 1 Presentation of Financial Statements (‘the Amendments’) and has submitted its Endorsement Advice Letter to the European Commission.
The Endorsement Advice Letter to the European Commission can be found here.
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22/12/2022 - EFRAG seeks comments on its draft endorsement advice on amendments to IAS 1
EFRAG is consulting on its assessment of the Amendments to IAS 1 Presentation of Financial Statements against the technical criteria for use in the EU and on its assessment of whether the Amendments are conducive to the European public good. Comments are requested by 1 March 2023.
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29/04/2022 - EFRAG's Feedback Statement on the IASB Exposure Draft ED/2021/9 Non-current Liabilities with Covenants
EFRAG has published its Feedback Statement related to its Comment Letter on the IASB Exposure Draft ED/2021/9 Non-current Liabilities with Covenants.
Find the Feedback Statement here.
Find the Comment Letter here.
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29/03/2022 - EFRAG's final comment letters on the IASB'S exposure drafts on Non-Current Liabilities with Covenants and Supplier Finance Arrangements
EFRAG has published its comment letters in response to the IASB's Exposure Drafts ED/2021/9 Non-Current Liabilities with Covenants and ED/2021/10 Supplier Finance Arrangements (the EDs). In the EDs, the IASB proposes to clarify the classification of liabilities with covenants as non-current versus current and to enhance the transparency of reporting for supplier finance arrangements and their effects on an entity’s liabilities and cash flows. Please find the comment letter on ED/2021/09 Non-Current Liabilities with Covenants here and the one on ED/2021/10 Supplier Finance Arrangements here.
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02/03/2022 - Deadline extensions for questionnaires related to Supplier Finance Arrangements and Non-Current Liabilities with Covenants
EFRAG invites users and preparers to complete either or both of its online questionnaires on Non-Current Liabilities with Covenants (IAS 1) and Supplier Finance Arrangements (SFA). Both projects aim to improve financial reporting of liquidity risks. Please find the Non-Current Liabilities with Covenants questionnaire for users or preparers here and the Supplier Finance Arrangements questionnaire for preparers here. EFRAG extends the deadline for the surveys until 9 March 2022 and reminds of the end of comment period to send comment letters for both IAS 1 and SFA.
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18/02/2022 - REMINDER - EFRAG encourages participation in its surveys on Supplier Finance Arrangements and Non-Current Liabilities
EFRAG invites users and preparers to complete either or both of its online questionnaires on Non-current Liabilities with Covenants and Supplier Finance Arrangements by 4 March 2022. Both projects aim to improve financial reporting of liquidity risks. Please find the Non-Current Liabilities with Covenants questionnaire for users or preparers here and the Supplier Finance Arrangements questionnaire for preparers here.
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01/02/2022 - EFRAG asks for your views on Classification of Liabilities with Covenants and Supplier Finance Arrangements
EFRAG invites constituents to complete either or both of its online questionnaires on Non-current Liabilities with Covenants and Supplier Finance Arrangements by 4 March 2022. Both projects aim to improve reporting of liquidity risks. Please find the Non-Current Liabilities with Covenants questionnaire here and the Supplier Finance Arrangements questionnaire here.
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21/01/2022 - EFRAG's Draft Comment Letter on the IASB's ED/2021/9 Non-Current Liabilities with Covenants
EFRAG has published its Draft Comment Letter in response to the IASB's Exposure Draft 2021/9 IAS 1 Non-Current Liabilities with Covenants (ED). Comments can be submitted until 9 March 2022.
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08/12/2020 - EXTENSION - EFRAG seeks views on its Draft Endorsement Advice on Classification of Liabilities as Current or Non-Current and Deferral of Effective Date (Amendments to IAS 1) - 11 January 2021
EFRAG is consulting on both its assessment of Classification of Liabilities as Current or Non-current and Deferral of Effective Date (Amendments to IAS 1) (‘the Amendments’) against the technical criteria in the EU and on its assessment of whether the Amendments are conducive to the European public good. Comments (Amendments to IAS1 - Deferral of Effective Date) are requested by 11 January 2021.
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02/12/2020 - REMINDER - EFRAG seeks views on its Draft Endorsement Advice on Classification of Liabilities as Current or Non-Current and Deferral of Effective Date (Amendments to IAS 1) by 7 December 2020
EFRAG is consulting on both its assessment of Classification of Liabilities as Current or Non-current and Deferral of Effective Date (Amendments to IAS 1) (‘the Amendments’) against the technical criteria in the EU and on its assessment of whether the Amendments are conducive to the European public good. Comments (Amendments to IAS 1 - Deferral of Effective Date) are requested by 7 December 2020.
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06/11/2020 - EFRAG requests comments on its draft endorsement advice on Classification of Liabilities as Current or Non-current and Deferral of Effective Date (Amendments to IAS 1)
EFRAG is consulting on both its assessment of Classification of Liabilities as Current or Non-current and Deferral of Effective Date (Amendments to IAS 1) (‘the Amendments’) against the technical criteria in the EU and on its assessment of whether the Amendments are conducive to the European public good. Comments are requested by 7 December 2020.
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28/07/2015 - Feedback statement on the IASB's ED/2015/1 Classification of Liabilities - Proposed amendments to IAS 1
EFRAG has published a feedback statement following the publication of its final comment letter on the IASB's Exposure Draft Classification of Liabilities - Proposed amendments to IAS 1.
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21/06/2015 - EFRAG's comment letter on the IASB's ED/2015/1 Classification of Liabilities - Proposed amendments to IAS 1
EFRAG has published its comment letter in response to the IASB's Exposure Draft Classification of Liabilities - Proposed amendments to IAS 1.
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23/03/2015 - EFRAG's draft comment letter on the IASB's ED/2015/1 Classification of Liabilities - Proposed amendments to IAS 1
EFRAG has published its draft comment letter in response to the IASB's Exposure Draft Classification of Liabilities - Proposed amendments to IAS 1 and seeks constituents' views on the proposals. Comments on the draft comment letter are requested by 3 June 2015.