BLM17050 - Lease accounting under IFRS 16 and FRS 102 (2024 amendments): transition
This manual is being updated to reflect FRS 102 (2024 amendments). For guidance on the tax treatment of accounts prepared under IFRS 16 or the revised FRS 102, please refer to pages within the BLM50000 chapter.
Transition to IFRS 16Ìý
In the first period in which a lessee adopts IFRS 16, a lessee has two options on how to apply the standard to its leases.Ìý
If a full retrospective approach is used, the cumulative effect of initially applying IFRS 16 is recognised as an adjustment to equity at the date of initialÌýapplication, and comparative figures for the end of the previousÌýperiod are also restated to reflect the adoption of IFRS 16. This approach effectively restates the financial statements as if IFRS 16 had always been applied.Ìý(IFRS 16.C5 (a)).Ìý
If a modified retrospective approach is usedÌýthe cumulative effect of initially applying IFRS 16 is recognised as an adjustment to equity at the date of initialÌýapplication.ÌýComparative figures for the previousÌýperiod are not restatedÌýbut continue to reflect the lessee’s accounting policies under the previousÌýstandard used.Ìý(IFRS 16.C5(b)).Ìý
Under both approaches, as a practical expedient, an entity is not requiredÌýto reassess whether a contract is, or contains, a lease at the date of initialÌýapplication. Instead, the entity is permittedÌýto ÌýapplyÌýIFRS 16 to contracts that were previously identified as leasesÌýunder IAS 17 and IFRIC 4.Ìý(IFRS 16.C3)Ìý
When applying the modified retrospective approach, there are several practical expedients (IFRS 16.C10) available to lessees who previously accounted for operating leases under IAS 17 when considering:Ìý
discount rates,Ìý
initial direct costs,Ìý
use of hindsight in determiningÌýthe lease term at the date of initialÌýapplication,Ìý
whether right of use leases are onerous at the date of initialÌýapplication, andÌý
short-term leases.Ìý
IFRS 16 also sets out mandatory transition requirements in respect of sale and leaseback transactionsÌý(IFRS 16.C16-C18)Ìýand leases assumed by an entity as a result ofÌýa past business combinationÌý(IFRS 16.C19).ÌýÌý
Transition to FRS 102 (2024 amendments) Section 20ÌýÌý
In the first period in which a lessee adopts FRS 102 (2024 amendments) Section 20Ìýentities should apply a modified retrospective approach. That is, the lessee shall not restate comparative information but should recognise the cumulative effect of applying the 2024 amendments to section 20 as an adjustment to the opening balance of retainedÌýearnings at the date of initialÌýapplication. (FRS 102 (2024 Amendments 1.47).Ìý
The full retrospective approach available to IFRS reporters cannot be used. However,Ìýas a practical expedient,Ìýif an entity is included in consolidatedÌýaccounts which were prepared using IFRSÌý16Ìýit can choose to use the carrying amounts calculated for the purposes of those consolidatedÌýaccounts. (FRS 102 (2024 amendments) 1.48). In these cases, a transition adjustment to opening reserves is more likely to arise.ÌýÌý
As a practical expedient, an entity is not requiredÌýto reassess whether a contract is, or contains, a lease at the date of initialÌýapplication. Instead, the entity is permittedÌýto only apply FRS 102 (2024 amendments) Section 20 to contracts that were previously identified as leases (FRS 102 (2024 amendments) 1.45).Ìý
FRS 102 (2024 amendments)Ìýalso sets out mandatory transition requirements in respect of sale and leaseback transactions (1.58 to 1.60).Ìý
On transition to FRS 102 (2024 amendments) Section 20 there are a number ofÌýpractical expedients (FRS 102 (2024 amendments) 1.53) availableÌýfor lesseesÌýto leases previously classified as operating leases:Ìý
discount rates,Ìý
use of hindsight in determiningÌýthe lease term at the date of initialÌýapplication,Ìý
whether right-of-use leases are onerous at the date of initialÌýapplication, andÌý
short-term leases.Ìý
If you believe that there are issues with how an entity has accounted for the transition to either IFRSÌý16 of FRS 102 (2024 amendment) Section 20 you should seek advice from an HMRC Advisory Accountant.Ìý
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