Over the last few months we have highlighted some of the accounting implications that may arise as a result of COVID-19. This month we focus on presentation and disclosures that require particular attention as a result of COVID-19, including:
When preparing financial statements, entities are required to make an assessment of its ability to continue as a going concern and continue to operate in the future - IAS 1, paragraph 25. It is important to note that:
When there is a subsequent deterioration in operating results and financial position after reporting date, entities may need to reconsider whether the going concern assumption is still appropriate at reporting date. (IAS 10 Events after the Reporting Period, paragraph 15).
Material uncertainties regarding going concern
When an entity is making its assessment and there are material uncertainties that may cast significant doubt upon the entity’s ability to continue as a going concern, disclosure of those uncertainties is required by IAS 1, paragraph25, requires that:
…When management is aware, in making its assessment, of material uncertainties related to events or conditions that may cast significant doubt upon the entity’s ability to continue as a going concern, the entity shall disclose those uncertainties….
Extract of IAS 1, paragraph 25
In addition, in July 2010, the IFRS Interpretations Committee noted that for such disclosure to be useful, an entity must identify that the disclosed uncertainties may cast significant doubt upon the entity’s ability to continue as a going concern.
Other than this decision, IAS 1, paragraph 25 is not explicit in what should be disclosed regarding the uncertainties around going concern. However, the AUASB-AASB’s recent publication The Impact of COVID-19 on Going Concern and Related Assessments, page 18, lists some items to consider in preparing the disclosures which, even though not specifically required by Accounting Standards, may be helpful for users of financial statements. These include:
‘Close calls’
Where an entity has considered events or conditions that may cast significant doubt upon its ability to continue as a going concern, but having considered all relevant information, concluded that there are no material uncertainties that require disclosure, i.e. a ‘close call’, the IFRS Interpretation Committee in July 2014 noted that in reaching the conclusion that there was no material uncertainty involved judgement by the entity, and therefore the disclosures around significant judgments is required under IAS 1, paragraph 122.
No uncertainties – Best practice
Some business may have been positively affected by COVID-19, and there are no indicators that cast doubt on their ability to continue as a going concern. Nevertheless, as best practice, and in order to achieve fair presentation, we consider that entities should provide details of how it has been impacted by COVID-19 (refer IAS 1, paragraph 17(c)).
COVID-19 may result in certain assets no longer being consumed in an entity’s ‘normal operating cycle’. As classification of assets is based on ‘expectation’, these may need to be reclassified as non-current assets.
On the other hand, classification of liabilities depends on rights and not expectation. Liabilities may therefore need to be reclassified as current liabilities if they become due on demand due to breaches of contractual terms and covenants.
Classification of assets (IAS 1, paragraph 66) | Classification of liabilities (IAS 1, paragraph 69) |
An entity shall classify an asset as current when:
An entity shall classify all other assets as non-current. | An entity shall classify a liability as current when:
An entity shall classify all other liabilities as non-current. |
During this COVID-19 pandemic period, entities should determine whether certain non-current assets or disposal groups should (should not) be classified as ‘held for sale’ under IFRS 5, and also whether there are any discontinued operations whose results should be disclosed separately.
Things to consider include:
COVID-19 impacts may require focussed and expanded disclosures about risks arising from financial instruments under IFRS 7 including:
IFRS 7 requires entities to disclose quantitative and qualitative information about the nature and extent of risks arising from financial instruments.
Significant increases in multiple financial risks may exist, some of which may not have been significant in past financial statements. Entities should carefully examine the nature of the risks they are exposed to and ensure their updated disclosures communicate risk exposures and their sensitivities.
Reminders when measuring fair value:
If you require assistance with any COVID-19 disclosure, please contact BDO’s IFRS Advisory Team.