Amendments to HKAS 1 Disclosure Initiative
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1 Amendments to HKAS 1 Disclosure Initiative Newsletter Issue No. 02/2015 MAIN FEATURES The amendments have made clarifications on the following areas in relation to the disclosure requirements: materiality and aggregation; information to be presented in statement of financial position and statement of profit or loss and other comprehensive income; structure; and disclosure of accounting policies. Effective for annual periods beginning on or after 1 January 2016, with earlier application permitted. Background The International Accounting Standards Board has issued Amendments to International Accounting Standard 1 in order to clarify that companies should use professional judgement in determining what information as well as where and in what order information is presented in the financial statements. Subsequently in January 2015, the Hong Kong Institute of Certified Public Accountants also issued the same amendments, Amendments to Hong Kong Accounting Standard ( HKAS ) 1 Disclosure Initiative, so as to maintain the convergence with International Financial Reporting Standards. 1 SHINEWING (HK) CPA Limited - Newsletter February 2015
2 What are the major contents of the amendments? The following table summarised the areas that would be affected by the Amendments to HKAS 1: Area Materiality and aggregation The amendments clarify that an entity should decide, taking into consideration all relevant facts and circumstances, how it aggregates information in the financial statements, which include the notes. An entity should not reduce understandability of its financial statements by obscuring material information with immaterial information or by aggregating material items that have different natures or functions. The amendments clarify that an entity does not require to provide a specific disclosure required by a Hong Kong Financial Reporting Standard ( HKFRS ) if the information resulting from that disclosure is not material. This is the case even if the HKFRS contain a list of specific requirements or describe them as minimum requirements. Consequential amendments have been made in paragraph 54 of HKAS 1 (which lists line items for presentation in the statement of financial position) by deleting the phrase as a minimum in order to fix the inconsistency on this concept. An entity should consider whether to provide additional disclosures when compliance with the specific requirements in HKFRS is insufficient to enable users of finance statements to understand the impact of particular transactions, other events and conditions on the entity s financial position and financial performance. Information to be presented in statement of financial position and statement of profit or loss and other comprehensive income The amendments removed the wordings as a minimum from paragraph 54 of HKAS 1 to address the possible misconception that this wording prevents entities from aggregating the line items specified in paragraph 54 of HKAS 1 if those specified line items are immaterial. Paragraphs 55 and 85 of HKAS 1 require an entity to present additional line items, headings and subtotals when their presentation is relevant to an understanding of the entity s financial position and financial performance respectively. This highlights that the line items listed in paragraphs 54 or 82 of HKAS 1 should be disaggregated and that subtotals should be presented in statement of financial position or statement of profit or loss and other comprehensive income, when relevant. 2 SHINEWING (HK) CPA Limited - Newsletter February 2015
3 Area Information to be presented in statement of financial position and statement of profit or loss and other comprehensive income (Continued) Paragraphs 55A and 85A of HKAS 1 are newly added to provide additional requirements for applying paragraphs 55 and 85 respectively. They are designed to clarify the factors that should be considered when fairly presenting subtotals in the statement of financial position and the statement of profit or loss and other comprehensive income. Specifically, the subtotal should: The amendments explicitly require entities to present the line items in the statements of profit or loss and other comprehensive income that reconciles any subtotals presented in accordance with paragraph 85 of HKAS 1 with those that are required in HKFRS for such statements. Paragraph 82A are amended so that entities are required to present the share of other comprehensive income of associates and joint ventures accounted for using the equity method, separated into the share of items that: i) ii) be comprised of line items made up of amounts recognised and measured in accordance with HKFRS; be understandable. It should be clear what line items are included in the subtotal by the way that the subtotal is presented and labelled; be consistent from period to period. The subtotal should be consistently presented and calculated from period to period (in accordance with paragraph 45 of HKAS 1), subject to possible changes in accounting policy or estimates assessed in accordance with HKAS 8; and not be displayed with more prominence than those subtotals and totals required in HKFRS for either the statement of profit or loss and other comprehensive income or the statement of financial position. will not be reclassified subsequently to profit or loss; and will be reclassified subsequently to profit or loss when specific conditions are met. Structure HKAS 1 requires entities to, as far as practicable, present the notes in a systematic manner. The amendments clarify that an entity should consider the effect on the understandability and comparability of its financial statements when determining the order of the notes. Paragraph 114 of HKAS 1 is amended to provide some examples of how an entity could order or group its notes in a systematic manner. 3 SHINEWING (HK) CPA Limited - Newsletter February 2015
4 Area Disclosure of accounting policies The amendments clarify that significant accounting policies do not need to be disclosed in one note, but instead can be included with related information in other notes. In deciding whether a particular accounting policy should be disclosed, HKAS 1 requires an entity to consider the nature of its operations and policies that users of its financial statements would expect to be disclosed for that type of entity. The amendments removed the income taxes accounting policy and foreign currency accounting policies as examples of a policy that users of financial statements would expect to be disclosed because they are unhelpful for clarifying such requirements. When will these amendments become effective? The Amendments to HKAS 1 will become effective for financial statements with annual periods beginning on or after 1 January Earlier application is permitted. An entity is not required to disclose the information required by paragraphs of HKAS 8 Accounting Policies, Changes in Accounting Estimates and Errors in relation to these amendments. 4 SHINEWING (HK) CPA Limited - Newsletter February 2015
5 Contact us HONG KONG 43/F., The Lee Gardens, 33 Hysan Avenue, Causeway Bay, Hong Kong Tel: (852) Fax: (852) Website: BEIJING 9/F,Block A, Fu Hua Mansion No.8 Chaoyang Men Beidajie, Dongcheng District, Beijing, PRC (Postal Code: ) Tel: (86) Fax: (86) SHENZHEN 10/F, Block A, United Plaza,Binhe Road, Futian District, Shenzhen, PRC (Postal Code: ) Tel: (86) Fax: (86) CHENGDU 12/F, Block A, No.1, Hang Kong Road, Air China Century Center, Chengdu, PRC (Postal Code: ) Tel: (86) Fax: (86) SHANGHAI XI AN 32/F, China Development Bank Tower, 16/F, Block C, Fortune Center, No.180, No.500, Pudong South Road, Pudong New Area, Western section of the second ring road, Shanghai, PRC (Postal Code: ) Xi'an, PRC (Postal Code: ) Tel: (86) Tel: (86) Fax: (86) Fax: (86) TIANJIN 21/F, Xinda Plaza, No.188, Jiefang Road, Heping District, Tianjin, PRC (Postal Code: ) Tel: (86) Fax: (86) CHANGCHUN 7/F, Building 7, Wanhao International Business Plaza, No.9399, People Street, Changchun, Jilin, PRC (Postal Code: ) Tel: (86) Fax: (86) QINGDAO 27/F, HuaYin Mansion, No.5, Donghai Road(west), Shinan District, Qingdao, PRC (Postal Code: ) Tel: (86) Fax: (86) YINCHUAN 11/F, Investment Plaza, No.65, Hubin Street(west), Xingqing District, Yinchuan, Nixia, PRC (Postal Code: ) Tel: (86) Fax: (86) CHANGSHA 7/F, Yun Da Guo Ji Plaza, No.478, Section 1, Middle Furong Road, Changsha, Hunan, PRC (Postal Code: ) Tel: (86) Fax: (86) JINAN 6/F Huate Plaza, No Jingshi Road, Lixia District, Jinan, PRC (Postal Code: ) Tel: (86) Fax: (86) DALIAN 15/F, Block B, Karen International Mansion, No.1-1 Section A Wucai Town, Dalian Development Area, Liaoning, PRC (Postal Code: ) Tel: (86) Fax: (86) KUNMING 9/F, Ruyi Plaza, No.36, Middle People Road, Kunming, Yunnan, PRC (Postal Code: ) Tel: (86) Fax: (86) GUANGZHOU No East Tower, Tianyu Business Plaza, No. 753 Dongfeng, East Road, Yuexiu District, Guangzhou, PRC (Postal Code: ) Tel: (86) Fax: (86) FUZHOU 13/F, Block A, Hongli Mansion,No.168, Hudong Road, Fuzhou,350003, PRC (Postal Code: ) Tel: (86) Fax: (86) NANJING 7/F, Hetai International Mansions, No. 128, Shanxi Road, Nanjing, Jiangsu, PRC (Postal Code: ) Tel: (86) Fax: (86) URUMQI 13/F, Hongshan New Century Building, No. 8, Xin Hua North Road, Urumuqi, Xinjiang, PRC (Postal Code: ) Tel: (86) Fax: (86) WUHAN Room , 27/F, Block 4, Xingguang Wuxian Building (Guanggu Yinzuo), No.727 Luoyu Road, Donghu New Technology Development Zone, Wuhan, Hubei, PRC (Postal Code: ) Tel: (86) Fax: (86) HANGZHOU Room 702, Wangjiang Internatioal Center, Shangcheng District, Hangzhou, Zhejiang, PRC (Postal Code: ) Tel: (86) Fax: (86) TAIYUAN Room 1103/1105, Fortune Building, No.98 Southern Inner Ring Street, Taiyuan, Shanxi, PRC (Postal Code: ) Tel: (86) Fax: (86) SINGAPORE 151 Chin Swee Road, No /06 Manhattan House, Singapore (Postal Code: ) Tel: (65) Fax: (65) MELBOURNE CITIC House, Level 1, 99 King Street, Melbourne, Vic, 3000, Australia Tel: (613) Fax: (613) JAPAN Hamamatsu Chou, Minato-ku, Tokyo, Japan Tel: (81-3) Fax: (81-50) This publication intended to provide general information and guidance on the subject concerned. No one should act upon such information without consulting a qualified professional adviser. SHINEWING (HK) CPA Limited takes no responsibility for any errors or omission in, or for the loss incurred by individuals and companies due to the use of, the information of this publication. No claims, action or legal proceedings in connection with this publication brought by any individuals or companies having reference to the information of this publication will be entertained by SHINEWING (HK) CPA Limited. SHINEWING (HK) CPA Limited - Newsletter February 2015 SHINEWING (HK) CPA Limited. All rights reserved.
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