The economic fallout from the global COVID-19 pandemic is likely to significantly impact the financial position and results of most entities during the 30 June 2020 financial year (or half-year).
COVID-19 was only declared a global health emergency by the World Health Organisation on 31 January 2020, and governments around the world implemented travel restrictions, social distancing measures, and lockdown restrictions at different times. For example:
FAQ No. 5 notes that splitting profit or loss between pre-COVID-19 and post-COVID-19 periods is problematic and can be potentially misleading because:
FAQ No. 5 also notes that all drivers underlying the results should be discussed in the OFR, including the effects of the pandemic, as well as other drivers that have had a significant impact on the results.
This would be true when discussing impairment losses and reductions in sales revenue, where it may not be possible to separately quantify the impacts due to COVID-19 and the impacts due to other causes, but the cause is not simply COVID-19. Lastly, ASIC urges caution describing COVID-19 related expenses as being non-recurring, particularly where the effects of COVID-19 cross over balance dates.
ASIC also notes that non-IFRS profit measures that attempt to show results had COVID-19 not occurred are likely to be misleading because they are hypothetical and it may not be possible to reliably identify and separately quantify the impact of the COVID-19 pandemic. Directors should refer to RG 230 Disclosing non-IFRS financial information in this regard.
Regarding presentation of the impact of COVID-19 in the financial statements, ASIC notes the following in FAQ No. 5:
1. | Don’t split the face of the income statement into a pre-COVID-19 period and a post-COVID-19 period for the reasons noted above. |
2. | Segment results should cover the entire reporting period, and should not exclude the result for all, or a part of, the post-COVID-19 period. |
3. | Some types of significant items that arise solely because of COVID-19 (e.g. impacts of government stimulus measures) may be quantified and disclosed separately in the notes as significant items, but should include an explanation as to why the item is solely COVID-19 related. |
4. | It is not appropriate to treat all ongoing operating costs as a significant item during a period of reduced revenue. |