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The Impact of FRS on Taxation

The Impact of FRS on Taxation. Tan Hooi Beng 11 August 2009. Agenda. Our progress FRS 139 – Financial Instruments : Recognition and measurement Current tax treatment for financial assets and liabilities Regional experience/position on FRS 39 Guidelines from the Ministry of Finance

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The Impact of FRS on Taxation

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  1. The Impact of FRS on Taxation Tan Hooi Beng 11 August 2009

  2. Agenda Our progress FRS 139 – Financial Instruments : Recognition and measurement Current tax treatment for financial assets and liabilities Regional experience/position on FRS 39 Guidelines from the Ministry of Finance Other issues Other FRSs The way forward

  3. Our Progress

  4. Our Progress • 1978 - First adoption of few international accounting standards, IAS • 1997 - Parliamentary Act established MASB, conferring MASB standards a legal standing for all companies • 2005 - Renaming of MASB standards to Financial Reporting Standards (FRS) in line with International Financial Reporting Standards (IFRS) • 2006 - Introduction of two-tier financial reporting for private and non-private entities • 2007 - FRS made identical to IFRS • 1 April 2008 – MOF issued "Guidelines On Income Tax Treatment From Adopting FRS 139" which are applicable to FIs • 1 August 2008 - Announcement of convergence plan with IFRS by 1 January 2012 by MASB and FRF • 22 Apr 2009 -Establishment of Joint Tax Working Group on Financial Reporting Standards (JTWG-FRS)

  5. FRS 139 - Financial Instruments : Recognition and measurement

  6. Current Tax Treatment for Financial Assets and Liabilities • Capital vs revenue • Disposal of financial assets (revenue account): - Realized gain – taxable - Realized loss – deductible • If financial assets (revenue account) are carried at lower of cost or MV and such assets has been written down to MV, the difference write down or diminution in value will be allowed as deduction

  7. Current Tax Treatment for Financial Assets and Liabilities (Cont’d) • Capital account (e.g. investment in subsidiary) - Gain – not taxable - Loss – not deductible • Diminution in value – not deductible • Interest on financial liabilities - Deductible if tax deductions rules are met

  8. Regional Experience Hong Kong Departmental Interpretation and Practice Notes No 42 (DIPN No 42) by HKIRD Tax treatment of gains or losses on financial instruments Timing of assessing gains on financial instruments Legal form vs economic substance Transitional adjustments IRD adopted the well-know Secan principle i.e. the tax treatment should follow accounting treatment if the latter is in accordance with GAAP and is not inconsistent with the tax ordinance Sri Lanka “We are trying to educate the tax authorities about the effect of IFRSs that have a bearing on taxation. ICASL has asked IASB to consider separate disclosure of ‘unrealised gains’ as a result of fair value measurement.” – Sri Lankan delegate’s response in the IASB's survey

  9. Regional Experience (Cont’d) Singapore FRS 39 - financial period begining on or after 1 January 2005 IRAS Circular dated 30 December 2005 Similar to Malaysian MOF's position What were the Pre-FRS 139 tax treatments? Realised vs. unrealised Capital account vs. revenue account For banks, generally, accounting treatment for financial derivatives were accepted What are the FRS 139 tax treatments? Alignment between accounting treatment and tax treatment Minimize tax adjustment For non-banks Revenue vs capital If revenue, taxable/deductible even unrealised For banks Mainly on revenue account Transitional tax rules

  10. MOF’s Tax Guidelines • FRS 139 - Accounting periods beginning on/after 1 January 2010 • Before 1 April 2008, no tax guidelines • 1 April 2008 – ‘Guidelines On Income Tax Treatment From Adopting FRS 139’ which are applicable to FIs regulated by BNM • Issued by MOF • FIs licensed under Banking and Financial Institutions Act 1989, Islamic Banking Act 1983, Development Financial Institutions Act 2002 • W.e.f YA 2008 • Revised GP 8 has incorporated numerous principles of FRS 139 • What is the position for non-FIs? • Establishment of Joint Tax Working Group on Financial Reporting Standards (JTWG-FRS) • Principles in the Guidelines are likely to be adopted

  11. MOF’s Tax Guidelines (Cont’d) • Alignmentbetweentaxtreatment and accountingtreatment • Rationale – timing difference • Capital vs revenue analysisstill crucial • Financial assets (revenue account) • Fair value through P/L (FVTPL) - Unrealised gain – taxedupfront - Unrealisedloss – deductibleupfront b) Available for sale (AFS) - Unrealised gain – not taxed - Unrealisedloss – not taxed - Realised gain – taxed - Realisedloss - deductible

  12. MOF’s Tax Guidelines (Cont’d) • Financial assets (revenue account) • Interest calculated by EIR method taxed (HTM and LAR) • Impairment losses – deductible • Financial assets (capital account) • IRB to ascertain what is capital and what is not • Traditional rules apply • Gain – not taxed, even realised! • Loss – not deductible, even realised! • Impairment losses – not deductible

  13. MOF’s Tax Guidelines (Cont’d) • Application of the guideline: • Wef YA 2008 • Tax treatment per guideline is the ‘default’ tax treatment  • Election in writing to maintain current tax treatment • May exercise option to adopt tax treatment per guideline • Transitional Issues: • Prior year adjustment – taxable/deductible in the first YA FRS 139 tax treatment is adopted • Additional tax payable to be paid over 5 equal yearly instalment • Concession for instalment applies if election to adopt tax treatment per guidelines is exercised within 3 years from the date of release of the guidelines

  14. Other Issues • Receivables & impairment • Inter-co loan • Treatment of interest income and interest expense • Investment/loan balance for tax purposes e.g. Sec 33(2) interest restriction calculation • Inter-co loan (with no written terms) • Debt vs equity • Impairment for bad debts – deductible?

  15. Other FRSs – A Quick Tour

  16. FRS 2 – Share based payment

  17. Food for thought “If stock options aren’t a form of compensation, what are they? If compensation isn’t an expense, what is it? And, if expenses shouldn’t go into the calculation of earnings, where in the world do they go?” – Warren Buffett, CEO, Berkshire Hathaway

  18. Scope of FRS 2 • Applicable to 3 types of share-based transactions: • Equity-settled transactions • Payment for goods & services settled in the form of the company’s equity instruments • - Employees services (e.g. ESOS) • - Suppliers/ non-employees goods & services (e.g. purchase of asset/services) • Cash-settled transactions • Payment for goods & services made in cash but relies on the value of the company’s equity instruments • - Employee services (e.g. Share Appreciation Rights) • - Suppliers/ non employees goods & services • Choice of settlement • Payment for goods & services that could be made either in cash or the company’s equity instruments

  19. Accounting Treatment Tax Issues • Is “staff cost” deductible? • If affirmative, what is the value? • If affirmative, when to claim?

  20. Group ESOS Scheme US Parent Subsidiary A Share option Services A’s Employees

  21. Group ESOS Scheme

  22. Tax Treatment

  23. Tax Treatment SAR is granted to employees as part of their remuneration package.An employee is entitled to cash payment (instead of equity instruments) in future, based on the increase in the entity’s share price from a specified level over a specified period of time

  24. Implications of recognising ESOS costs • Cost of ESOS recognised as expense in P &L – impacts accounting profits • However cost of ESOS not tax deductible • Effective tax rate increases • Impacts earnings-per-share (EPS) • Comparability of EPS distorted • ESOS cost is a real economic cost – contractual and in recognition of the employees contribution • Singapore: deduction only available for treasury shares, purchase price of the treasury shares LESS grant price)

  25. Summary of potential tax treatments • Equity settled share based payments to suppliers for goods and services is deductible • Cash settled share based payments (suppliers & employees) is deductible upon actual cash settlement • Equity share based payments to employees (ESOS), not tax deductible save for a situation where there actual cost is incurred in acquiring the options (e.g. treasury shares in Singapore and parent issued options to subsidiary employees for a consideration). • Recharges from parent may not be tax deductible if Singapore’s treatment is followed • Keep adequate documents to substantiate tax deduction claim, primarily to prove the value • Keep proper schedules in the tax computation to monitor movement

  26. FRS 5 - Non-current assets held for sale and discontinued operations

  27. FRS 5 – Non-current asset held for sale (HFS) • Non-current asset whose carrying amount will be recovered principally through a sale transaction rather than through continuing use • Non-current asset to be classified as HFS if: • Available for immediate sale in its present condition • Its sale must be highly probable • Management commitment to sell • Active programme to locate a buyer (advertisement) • Sale to be completed within 1 year • It must be genuinely sold, not abandoned • To be classified as HFS, above conditions must be met at balance sheet date

  28. Held for Sale – Presentation & Disclosure

  29. FRS 5 Non-current assets held for sale Tax Implications * Para 61, Schedule 3 – “Any plant or machinery which is used for the purposes of a business and in respect of which qualifying expenditure has been incurred is disposed of within the meaning of this Schedule if it is sold, discarded or destroyed or if it ceases to be used for the purposes of that business” ** Para 56, Schedule 3 – “For the purposes of this Schedule, an asset which is temporarily disused in relation to a business of a person shall be deemed to be in use for the purposes of the business if it was in use for the purposes of the business immediately before becoming disused and if during the period of disuse it is constantly maintained in readiness to be brought back into use for those purposes” *** Para 61, Schedule – “Subject to subparagraph (2), for the purposes of this Schedule, where an asset is disposed of by a person, its disposal value shall be taken to be an amount equal to its market value at the date of its disposal or, in the case of its disposal by way of sale, transfer or assignment..” What is the tax treatment if asset HFS is reclassified as non-current asset (in use)?

  30. Other FRSs

  31. Other FRSs • FRS 121 – The Effects of Changes in Foreign Exchange Rates - Foreign currency, functional currency and presentation currency • FRS 108 – Accounting Policies, Changes in Accounting Estimates & Errors • FRS 116 – Property, Plant and Equipment • Etc

  32. The Way Forward • Adoption of FRS has tax implications • Joint Tax Working Group on Financial Reporting Standards (JTWG-FRS) to expedite effort • Tax authorities to be lenient in the earlier years • Overall objective: Alignment between accounting treatment and tax treatment

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