Comment Letter on Exposure Draft ED/2017/2 Improvements to IFRS 8 Operating Segments (Proposed amendments to IFRS 8 and IAS 34)

Similar documents
Comment letter on ED/2014/5 Classification and Measurement of Share-based Payment Transactions

Comment letter on ED/2015/5 Remeasurement on a Plan Amendment, Curtailment or Settlement/Availability of a Refund from a Defined Benefit Plan

Our detailed responses to the questions are included in the Appendix to this letter.

Comment Letter on Exposure Draft ED/2017/5 Accounting Policies and Accounting Estimates (Proposed amendments to IAS 8)

Comment letter on ED/2017/3 Prepayment Features with Negative Compensation

Comment letter on ED/2013/9 Proposed amendments to the International Financial Reporting Standard for Small and Medium-sized Entities

Comment letter on ED/2012/3 Equity Method: Share of Other Net Asset Changes

Exposure Draft ED 2013/10 Equity Method in Separate Financial Statements

Comment letter on ED/2015/3 Conceptual Framework for Financial Reporting

Comment Letter on Discussion Paper DP/2017/1 Disclosure Initiative Principles of Disclosure

The question is whether the term involving in IFRS 10.B99A and the term downstream in IAS are:

ED/2013/7 Insurance Contracts; and Proposed Accounting Standards Update Insurance Contracts (Topic 834)

Re: Exposure Draft ED/2017/1 Annual Improvements to IFRS Standards Cycle

Do you agree with the Board s proposal to amend the IFRS as described in the exposure draft? If not, why and what alternative do you propose?

Exposure Draft ED/2009/4 Prepayments of a Minimum Funding Requirement, Proposed amendments to IFRIC 14

We appreciate the opportunity to comment on the exposure draft mentioned above and would like to submit our comments as follows:

IASB Exposure Draft ED/2015/8 IFRS Practice Statement: Application of Materiality to Financial Statements

SCHOENBRUNNER STRASSE /1/6 A-1120 VIENNA AUSTRIA. TEL +43 (1) FAX +43 (1) WEB

Invitation to comment Annual Improvements to IFRSs Cycle

Exposure Draft ED/2011/6 - Revenue from Contracts with Customers

July 19, Mr. Russell G. Golden Technical Director Financial Accounting Standards Board 401 Merritt 7 P.O. Box 5116 Norwalk, CT

Exposure Draft ED 2015/6 Clarifications to IFRS 15

Deutsches Rechnungslegungs Standards Committee e.v. Accounting Standards Committee of Germany

Improvements to IFRS 8 Operating Segments

Proposed Accounting Standards Update, Financial Instruments Credit Losses (Subtopic )

Ref: IASB s Exposure Draft Accounting Policy Changes Proposed amendments to IAS 8

Re: Exposure Draft, Investments in Debt Instruments - proposed amendments to IFRS 7

Our ref. Comment letter on Discussion Paper DP/2018/1 Financial Instruments with Characteristics of Equity

Re: Exposure Draft, Regulatory Deferral Accounts IASB Reference ED/2013/5

At this meeting, the Interpretations Committee discussed the following items on its current agenda.

Report. Review of European enforcers on the implementation of IFRS 8 Operating Segments. 9 November 2011 ESMA/2011/372

We commend the IASB for its efforts to address standards implementation issues.

Hans Hoogervorst Chairman International Accounting Standard Board (IASB) 30 Cannon Street London, EC4M 6XH

Re: Exposure Draft ED/2011/6 Revenue from Contracts with Customers

Re: Comments on the Exposure Draft Accounting Policy Changes (Proposed amendments to IAS 8)

The IDW appreciates the opportunity to comment on the Exposure Draft Insurance

Deutsches Rechnungslegungs Standards Committee e.v. Accounting Standards Committee of Germany

Deutsches Rechnungslegungs Standards Committee e.v. Accounting Standards Committee of Germany

Secretariat of the Basel Committee on Banking Supervision Bank for International Settlement CH-4002 Basel Switzerland. MT Mary Tokar.

Mr Hans Hoogervorst International Accounting Standards Board 1st Floor 30 Cannon Street London EC4M 6XH MV/ September Dear Mr Hoogervorst

International Accounting Standards Board 1 st Floor 30 Cannon Street London EC4M 6XH United Kingdom (By online submission)

Request for Information: Comprehensive Review of IFRS for SMEs

Request for Information Post-implementation Review IFRS 3 Business Combinations

Turin, March 13, Mr. Hans Hoogervorst, Chairman International Accounting Standards Board 30 Cannon Street London EC4M 6XH United Kingdom

IFRIC Draft Interpretation D23 Distributions of Non-cash Assets to Owners

21 February Mr Hans Hoogervorst Chairman International Accounting Standards Board 30 Cannon Street London EC4M 6XH United Kingdom.

Mr Hans Hoogervorst Chairman International Accounting Standards Board 30 Cannon Street London EC4M 6XH. Submitted electronically to

Our detailed comments and responses to the fifteen questions raised in the DP are set out below.

Exposure Draft of Proposed Amendments to IAS 27, Consolidated and Separate Financial Statements

ED/2012/4 Classification and Measurement: Limited Amendments to IFRS 9

SAICA SUBMISSION ON DRAFT IFRIC INTERPRETATION DI/2015/1 UNCERTAINTY OVER INCOME TAX TREATMENTS

Committee e.v. Accounting Standards

Ref: ED/2013/3 Financial Instruments: Expected Credit Losses

Insurance Europe comments on the Exposure Draft: Conceptual Framework for Financial Reporting.

ICAEW is pleased to respond to your request for comments on ED/2013/1 Recoverable amount disclosures for non-financial assets.

Tel: +44 [0] Fax: +44 [0] ey.com. Tel:

Re.: IASB ED/2013/2 Novation of Derivatives and Continuation of Hedge Accounting Proposed amendments to IAS 39 and IFRS 9

Comment Letter on Exposure Draft Classification and Measurement: Limited Amendments to IFRS 9 (proposed amendments to IFRS 9 (2010))

Deutsches Rechnungslegungs Standards Committee e.v. Accounting Standards Committee of Germany

Exposure draft 2016/1 Definition of a Business and Accounting for Previously Held Interests (Proposed amendments to IFRS 3 and IFRS 11)

International Accounting Standards Board 30 Cannon Street London EC4M 6XH. 22 March Dear Board members

Ref: The IASB s Exposure Draft Clarifications to IFRS 15

Re: Comments on ED/2012/4 Classification and Measurement: Limited Amendments to IFRS 9

Exposure Draft (ED/2012/4), Classification and Measurement - Limited Amendments to IFRS 9

Re: Exposure Draft ED/2010/5 Presentation of Items of Other Comprehensive Income

INSTITUTE OF PROFESSIONAL ACCOUNTANTS OF RUSSIA

Re.: IASB Exposure Draft 2013/3 Financial Instruments: Expected Credit Losses

Re.: IASB Exposure Draft 2014/1 Disclosure Initiative Proposed amendments

Constituents generally agreed that IFRS 3 is conceptually sound, but that it is often difficult to apply in practice, in New Zealand.

CL October International Accounting Standards Board 30 Cannon Street London EC4M 6XH United Kingdom

AOSSG comments on IASB Exposure Draft ED/2013/10 Equity Method in Separate Financial Statements

Re: Investment Entities: Applying the Consolidation Exception (Proposed amendments to IFRS 10 and IAS 28) (ED/2014/2)

Our detailed comments and responses to the questions in the Exposure Draft are set out in the Appendix. To summarise EFRAG:

Reference: IASB Exposure Draft Fair Value Option for Financial Liabilities

Note to constituents. Page 1 of 34

Comments on the Exposure Draft Financial Instruments: Amortised Cost and Impairment

DRAFT. Re: Exposure Draft ED 1: First-time Application of International Financial Reporting Standards

Exposure draft: Amendments to IFRS 1 and IAS 27, Cost of an investment in a subsidiary, jointly controlled entity or associate

ED 7 Financial Instruments: Disclosures

GAA. Project Manager International Accounting Standards Board 1 st Floor 30 Cannon Street London EC4M 6XH United Kingdom.

Proposed Amendments to IAS 8 - Draft Comment Letter

Draft Comment Letter

April 12, Submitted electronically via

Draft Comment Letter. Comments should be submitted by 18 April 2011 to

Exposure Draft 53 First time Adoption of Accrual Basis International Public Sector Accounting Standards (IPSASs)

Invitation to comment Exposure Draft ED/2017/5 Accounting Policies and Accounting Estimates - Proposed amendments to IAS 8

Deutsches Rechnungslegungs Standards Committee e.v. Accounting Standards Committee of Germany

August 28, Mr. Hans Hoogervorst Chair International Accounting Standards Board 30 Cannon Street London EC4M 6XH United Kingdom

Responses to Exposure Draft

Deloitte Touche Tohmatsu is pleased to respond to the Discussion Paper, Preliminary Views on Financial Statement Presentation (the Discussion Paper ).

Rio de Janeiro, October 02, 2017

2. The group received a summary of the Board s current workplan.

Committee e.v. Accounting Standards

Welcome to the October IASB Update

VMEBF Bilanzierung in Familienunternehmen

Consultation Paper on Guidelines on management of non-performing and forborne exposures (EBA-CP )

Exposure Draft ED/2017/3 Prepayment Features with Negative Compensation

Operating Segments. International Financial Reporting Standard 8 IFRS 8

Re: Comments on IASB s Exposure Draft on Classification and Measurement: Limited Amendments to IFRS 9

Exposure Draft ED/2012/4 - Financial Instruments: Classification and Measurement (Limited Amendments to IFRS 9)

Transcription:

ss KPMG IFRG Limited Tel +44 (0) 20 7694 8871 15 Canada Square Fax +44 (0) 20 7694 8429 London E14 5GL United Kingdom mark.vaessen@kpmgifrg.com Mr Hans Hoogervorst International Accounting Standards Board 1st Floor 30 Cannon Street London EC4M 6XH Our ref MV/288 Dear Mr Hoogervorst Comment Letter on Exposure Draft ED/2017/2 Improvements to IFRS 8 Operating Segments We appreciate the opportunity to comment on the International Accounting Standards Board s (the Board) Exposure Draft Improvements to IFRS 8 Operating Segments. We have consulted with, and this letter represents the views of, the KPMG network. We support the Board s efforts to address issues identified as part of the Postimplementation Review of IFRS 8 and the overall objective of improving the quality of disclosure of operating segments information. However, we are concerned about some of the proposed amendments - in particular, the proposed requirement in paragraph 22(d) to disclose in the financial statements an explanation of why reportable segments identified in the financial statements differ from segments identified in other parts of the entity s annual reporting package. We do not believe that the financial statements are the place to explain inconsistencies between properly prepared IFRS information and non-ifrs information presented elsewhere. The Appendix to this letter contains our detailed responses to the questions on the proposals. Please contact Mark Vaessen +44 (0)20 7694 8871 or David Littleford at +44 (0)20 7694 8083 if you wish to discuss any of the issues raised in this letter. KPMG IFRG Limited, a UK company limited by guarantee, is a member of KPMG International Cooperative ( KPMG International ), a Swiss entity. Registered in England No 5253019 Registered office: 15 Canada Square, London, E14 5GL

Yours sincerely KPMG IFRG Limited MV/288 2

Appendix This appendix contains our detailed responses to the proposals. Question 1 The Board proposes to amend the description of the chief operating decision maker with amendments in paragraphs 7, 7A and 7B of IFRS 8 to clarify that: (a) the chief operating decision maker is the function that makes operating decisions and decisions about allocating resources to, and assessing the performance of, the operating segments of an entity; (b) the function of the chief operating decision maker may be carried out by an individual or a group this will depend on how the entity is managed and may be influenced by corporate governance requirements; and (c) a group can be identified as a chief operating decision maker even if it includes members who do not participate in all decisions made by the group (see paragraphs BC4 BC12 of the Basis for Conclusions on the proposed amendments to IFRS 8). The Board also proposes in paragraph 22(c) of IFRS 8 that an entity shall disclose the title and description of the role of the individual or the group identified as the chief operating decision maker (see paragraphs BC25 BC26 of the Basis for Conclusions on the proposed amendments to IFRS 8). Do you agree with the proposed amendments? Why or why not? If not, what do you The identification of the chief operating decision maker (CODM) is fundamental to applying IFRS 8 and additional guidance in this area may be useful. However, we believe that the proposed amendments may not be effective in assisting preparers in identification of the CODM compared to extant IFRS 8. Further, the proposed changes in paragraphs 7A-7B may lead to identification of the CODM at a higher level of the entity s organisational structure (e.g. board of directors, management committee) potentially leading to less disaggregation rather than more disaggregation of operating segments. In our experience, information provided to a more senior group of recipients (including non-executive members) tends to be less disaggregated. Therefore we recommend that the Board evaluates if these proposed amendments adequately respond to users needs and any regulatory concerns about the aggregation of operating segments. Notwithstanding the point above that the proposed amendments could potentially result in less disaggregation of operating segments, we note that there could be a potential MV/288 3

measurement impact in cases where there would be more disaggregation of operating segments. This is caused by the interaction of IFRS 8 with IAS 36 1 requirements on allocation of goodwill for impairment testing purposes - i.e. each unit or group of units to which goodwill is allocated cannot be larger than an operating segment before aggregation. However, we note that paragraph BC38 suggests that the proposed amendments to be applied retrospectively solely affect disclosure. We are concerned that an increased number of operating segments may trigger changes in the level at which goodwill is tested for impairment, and that reallocation of goodwill to a lower level could lead to additional impairment charges. In such a scenario, the proposal in paragraph 36D to apply the IFRS 8 amendments retrospectively may result in reallocating goodwill on a retrospective basis and recognising an impairment retrospectively. We do not believe that reallocation of goodwill on a retrospective basis would be practicable without the use of hindsight. We also note that under current paragraph 87 of IAS 36, a reallocation of goodwill as a result of a reorganisation of the reporting structure including composition of cash generating units is recognised at the date of reorganisation, not on a retrospective basis. We recommend that the Board considers the impacts of the interaction of the requirements of IAS 36 with IFRS 8 and addresses them specifically. We suggest that the Board amends the proposed transitional provisions. We also believe it would be helpful for the Board to consider and describe, for example in the Basis for Conclusions, the difference between the definition of Key Management Personnel in paragraph 9 of IAS 24 and the CODM in IFRS 8. We agree with the requirement to disclose the title (if one exists) and description of the individual or group identified as the CODM. Question 2 In respect of identifying reportable segments, the Board proposes the following amendments: (a) adding a requirement in paragraph 22(d) to disclose an explanation of why segments identified in the financial statements differ from segments identified in other parts of the entity s annual reporting package (see paragraphs BC13 BC19 of the Basis for Conclusions on the proposed amendments to IFRS 8); and 1 Paragraph 80 of IAS 36 Impairment of Assets MV/288 4

(b) adding further examples to the aggregation criteria in paragraph 12A of IFRS 8 to help with assessing whether two segments exhibit similar long-term financial performance across a range of measures (see paragraphs BC20 BC24 of the Basis for Conclusions on the proposed amendments to IFRS 8). Do you agree with the proposed amendments? Why or why not? If not, what do you Inconsistency between reportable segments in the financial statements and other parts of the annual reporting package (paragraphs 19B, 22(d)) We sympathise with concerns raised by some users and regulators about the inconsistency of segment information in the financial statements with information presented elsewhere and support promoting greater consistency between different pieces of corporate communication. However, we believe that the explanation of any apparent inconsistency between reportable segments identified in the financial statements with information in other parts of the annual reporting package should not be a factor in determining whether the financial statements themselves are in compliance with IFRS (or not). As such, we do not believe that such disclosure belongs in the financial statements. We consider the expectation for consistency between segment reporting and information outside the financial statements to be an enforcement issue over the relevant document (such as the management discussion and analysis or analysts briefing, etc.) rather than a financial statement disclosure matter. We also note that some inconsistencies might even be warranted, for example, when investors or other users request selected financial information by brand or product line, notwithstanding that this is not the way the CODM receives information. We are also concerned about the precedent that a requirement to explain why IFRS information is in accordance with IFRS might set. In particular, will preparers be required to explain in the financial statements any other apparent inconsistencies with disclosure in other parts of the annual report / other documents, such as investor presentations, press announcements, etc? For example, will preparers be required to explain the absence of disclosure of remote contingent liabilities under IAS 37 2 that might be discussed in the narrative sections or to explain a lack of capital contributions where the narrative section includes the discussion on the strategy of expansions? We recommend that the Board reconsiders this proposed requirement as we do not believe the explanation of inconsistencies belongs in the financial statements. We instead recommend that the Board discusses, as part of the Basis for Conclusions of 2 IAS 37 Provisions, Contingent Liabilities and Contingent Assets MV/288 5

the final amendments, why such explanations belong outside the financial statements (e.g. in management discussion and analysis, investor presentations). We note that the Board is contemplating the interaction of information provided inside and outside the financial statements in various other areas, including the Principles of Disclosure discussion paper and, potentially, in a future project to update the Management Commentary Practice Statement. We recommend that the Board considers the consistency issues between various corporate reporting information sources more fundamentally in the context of those other projects. If however, the proposed requirement is retained, we recommend to be consistent with the way cross-referencing is addressed in other IFRSs (e.g. paragraph B6 of IFRS 7 and paragraph 16A of IAS 34) and refer only to information/documents that is available to users of the financial statements on the same terms as the financial statements and at the same time, since using annual reporting package may have unintended consequences given the various forms and composition of such packages across different jurisdictions and given the auditor s responsibilities in accordance with International Standards on Auditing (specifically, see ISA 720 3 ) which limits the auditor's responsibilities to information included in an entity's annual report only. Aggregation criteria (paragraph 12A) We agree with adding further examples to the aggregation criteria in paragraph 12A of IFRS 8 to help with assessing whether two segments exhibit similar long-term financial performance across a range of measures. However, it is not sufficiently clear the extent to which economic characteristics need to be similar in order to aggregate operating segments. We recommend that the Board provides additional guidance around similar economic characteristics. We believe that there is a lack of a conceptual basis according to which economic factors should be considered when determining similar economic characteristics (the proposed amendment includes only examples). Otherwise management may be incentivised to identify those that are similar, rather than those that are the most appropriate economic factors to the assessment. We recommend that the Board provides a conceptual basis for the economic factors to be considered, e.g. the primary entity-specific factors that the CODM uses in reviewing the performance of, and allocating resources to, individual segments. Question 3 The Board proposes a clarifying amendment in paragraph 20A of IFRS 8 to say that an entity may disclose segment information in addition to that reviewed by, or 3 Paragraphs 12, 14 and 15 of ISA 720 The Auditor s Responsibilities Relating to Other Information MV/288 6

regularly provided to, the chief operating decision maker if that helps the entity to meet the core principle in paragraphs 1 and 20 of IFRS 8 (see paragraphs BC27 BC31 of the Basis for Conclusions on the proposed amendments to IFRS 8). Do you agree with the proposed amendment? Why or why not? If not, what do you We agree with this proposed amendment, however we recommend that the Board clarifies its intention whether an entity can disclose additional information in respect of reportable segments identified in accordance with IFRS 8, or whether further, or alternative, disaggregation is allowed; or both. Paragraphs BC27-BC31 mainly refer to additional line items required by users of financial statements. It is unclear whether the additional information that may be disclosed, as stated in paragraph 20A, refers to information such as additional line items (e.g. segment EBIT or EBITDA) or more broadly to any additional information (e.g. the entity s post-employment benefit plans on a non-ias 19 compliant basis). While the former may contribute to meeting the core principle in the Standard, the latter may not. Question 4 The Board proposes a clarifying amendment in paragraph 28A of IFRS 8 to say that explanations are required to describe the reconciling items in sufficient detail to enable users of the financial statements to understand the nature of these reconciling items (see paragraphs BC32 BC37 of the Basis for Conclusions on the proposed amendments to IFRS 8). Do you agree with the proposed amendment? Why or why not? If not, what do you We agree with the proposed amendment to more fully explain the nature of reconciling items as it may enable the users of financial statements to better understand the effect of these items on individual reportable segments. We also recommend that the Board clarifies whether the requirement for reconciliation would extend to additional disclosures provided pursuant to the proposed paragraph 20A (see question above). Question 5 The Board proposes to amend IAS 34 to require that after a change in the composition of an entity s reportable segments, in the first interim report the entity shall present restated segment information for all interim periods both of the current MV/288 7

financial year and of prior financial years, unless the information is not available and the cost to develop it would be excessive (see paragraphs BC2 BC10 of the Basis for Conclusions on the proposed amendments to IAS 34). Do you agree with the proposed amendment? Why or why not? If not, what do you The proposed requirement to restate all of the prior year interims in the first interim period following a change in the composition of the reportable segments goes above and beyond the current requirements of IAS 8 4 and IAS 34 5 with respect to a change in an accounting policy. As we do not believe there is a conceptual difference between changing the composition of reportable segments and changing an accounting policy, we find it unclear why there should be a difference in accounting for, and reporting of, the two scenarios. We therefore recommend that the Board removes the proposed requirement and instead aligns the requirements with IAS 34 / IAS 8 retrospective application approach. 4 IAS 8 Accounting Policies, Changes in Accounting Estimates and Errors 5 Paragraph 43 of IAS 34 Interim Financial Reporting MV/288 8