Content |
|
- |
Initial recognition of an asset
or liability
22. A temporary difference may
arise on initial recognition of an asset or liability, for
example if part or all of the cost of an asset will not be
deductible for tax purposes. The method of accounting for such
a temporary difference depends on the nature of the
transaction which led to the initial recognition of the asset:
(a) in a business combination, an
entity recognises any deferred tax liability or asset and
this affects the amount of goodwill or the amount of any
excess over the cost of the combination of the acquirer’s
interest in the net fair value of the acquiree’s
identifiable assets, liabilities and contingent liabilities
(see paragraph 19);
(b) if the transaction affects
either accounting profit or taxable profit, an enterprise
recognises any deferred tax liability or asset and
recognises the resulting deferred tax expense or income in
the income statement (see paragraph 59);
(c) if the transaction is not a
business combination, and affects neither accounting profit
nor taxable profit, an enterprise would, in the absence of
the exemption provided by paragraphs 15 and 24, recognise
the resulting deferred tax liability or asset and adjust the
carrying amount of the asset or liability by the same amount.
Such adjustments would make the financial statements less
transparent. Therefore, this Standard does not permit an
enterprise to recognise the resulting deferred tax liability
or asset, either on initial recognition or subsequently (see
example on next page). Furthermore, an enterprise does not
recognise subsequent changes in the unrecognised deferred
tax liability or asset as the asset is depreciated.
23. In accordance with IAS 32,
financial instruments: disclosure and presentation, the issuer
of a compound financial instrument (for example, a convertible
bond) classifies the instrument's liability component as a
liability and the equity component as equity. In some
jurisdictions, the tax base of the liability component on
initial recognition is equal to the initial carrying amount of
the sum of the liability and equity components. The resulting
taxable temporary difference arises from the initial
recognition of the equity component separately from the
liability component. Therefore, the exception set out in
paragraph 15(b) does not apply. Consequently, an enterprise
recognises the resulting deferred tax liability. In accordance
with paragraph 61, the deferred tax is charged directly to the
carrying amount of the equity component. In accordance with
paragraph 58, subsequent changes in the deferred tax liability
are recognised in the income statement as deferred tax expense
(income).
Example illustrating paragraph
22(c)
An enterprise intends to use an
asset which cost 1000 throughout its useful life of five
years and then dispose of it for a residual value of nil.
The tax rate is 40 %. Depreciation of the asset is not
deductible for tax purposes. On disposal, any capital gain
would not be taxable and any capital loss would not be
deductible.
As it recovers the carrying
amount of the asset, the enterprise will earn taxable income
of 1000 and pay tax of 400. The enterprise does not
recognise the resulting deferred tax liability of 400
because it results from the initial recognition of the asset.
In the following year, the
carrying amount of the asset is 800. In earning taxable
income of 800, the enterprise will pay tax of 320. The
enterprise does not recognise the deferred tax liability of
320 because it results from the initial recognition of the
asset.
Deductible temporary
differences
24. A deferred tax asset shall be
recognised for all deductible temporary differences to the
extent that it is probable that taxable profit will be
available against which the deductible temporary difference
can be utilised, unless the deferred tax asset arises from
the initial recognition of an asset or liability in a
transaction that:
(a) is not a business combination;
and
(b) at the time of the transaction,
affects neither accounting profit nor taxable profit (tax
loss).
However, for deductible
temporary differences associated with investments in
subsidiaries, branches and associates, and interests in joint
ventures, a deferred tax asset should be recognised in
accordance with paragraph 44.
25. It is inherent in the
recognition of a liability that the carrying amount will be
settled in future periods through an outflow from the
enterprise of resources embodying economic benefits. When
resources flow from the enterprise, part or all of their
amounts may be deductible in determining taxable profit of a
period later than the period in which the liability is
recognised. In such cases, a temporary difference exists
between the carrying amount of the liability and its tax base.
Accordingly, a deferred tax asset arises in respect of the
income taxes that will be recoverable in the future periods
when that part of the liability is allowed as a deduction in
determining taxable profit. Similarly, if the carrying amount
of an asset is less than its tax base, the difference gives
rise to a deferred tax asset in respect of the income taxes
that will be recoverable in future periods.
Example
An enterprise recognises a
liability of 100 for accrued product warranty costs. For tax
purposes, the product warranty costs will not be deductible
until the enterprise pays claims. The tax rate is 25 %.
The tax base of the liability
is nil (carrying amount of 100, less the amount that will be
deductible for tax purposes in respect of that liability in
future periods). In settling the liability for its carrying
amount, the enterprise will reduce its future taxable profit
by an amount of 100 and, consequently, reduce its future tax
payments by 25 (100 at 25 %). The difference between the
carrying amount of 100 and the tax base of nil is a
deductible temporary difference of 100. Therefore, the
enterprise recognises a deferred tax asset of 25 (100 at 25
%), provided that it is probable that the enterprise will
earn sufficient taxable profit in future periods to benefit
from a reduction in tax payments.
26. The following are examples of
deductible temporary differences which result in deferred tax
assets:
(a) retirement benefit costs
may be deducted in determining accounting profit as service
is provided by the employee, but deducted in determining
taxable profit either when contributions are paid to a fund
by the enterprise or when retirement benefits are paid by
the enterprise. A temporary difference exists between the
carrying amount of the liability and its tax base; the tax
base of the liability is usually nil. Such a deductible
temporary difference results in a deferred tax asset as
economic benefits will flow to the enterprise in the form of
a deduction from taxable profits when contributions or
retirement benefits are paid;
(b) research costs are
recognised as an expense in determining accounting profit in
the period in which they are incurred but may not be
permitted as a deduction in determining taxable profit (tax
loss) until a later period. The difference between the tax
base of the research costs, being the amount the taxation
authorities will permit as a deduction in future periods,
and the carrying amount of nil is a deductible temporary
difference that results in a deferred tax asset;
(c) the cost of a business combination
is allocated by recognising the identifiable assets acquired
and liabilities assumed at their fair values at the
acquisition date. When a liability assumed is recognised at
the acquisition date but the related costs are not deducted
in determining taxable profits until a later period, a
deductible temporary difference arises which results in a
deferred tax asset. A deferred tax asset also arises when
the fair value of an identifiable asset acquired is less
than its tax base. In both cases, the resulting deferred tax
asset affects goodwill (see paragraph 66);
and
(d) certain assets may be
carried at fair value, or may be revalued, without an
equivalent adjustment being made for tax purposes (see
paragraph 20). A deductible temporary difference arises if
the tax base of the asset exceeds its carrying amount.
27. The reversal of deductible
temporary differences results in deductions in determining
taxable profits of future periods. However, economic benefits
in the form of reductions in tax payments will flow to the
enterprise only if it earns sufficient taxable profits against
which the deductions can be offset. Therefore, an enterprise
recognises deferred tax assets only when it is probable that
taxable profits will be available against which the deductible
temporary differences can be utilised.
28. It is probable that taxable
profit will be available against which a deductible temporary
difference can be utilised when there are sufficient taxable
temporary differences relating to the same taxation authority
and the same taxable entity which are expected to reverse:
(a) in the same period as the
expected reversal of the deductible temporary difference; or
(b) in periods into which a tax
loss arising from the deferred tax asset can be carried back
or forward.
In such circumstances, the
deferred tax asset is recognised in the period in which the
deductible temporary differences arise.
29. When there are insufficient
taxable temporary differences relating to the same taxation
authority and the same taxable entity, the deferred tax asset
is recognised to the extent that:
(a) it is probable that the
enterprise will have sufficient taxable profit relating to
the same taxation authority and the same taxable entity in
the same period as the reversal of the deductible temporary
difference (or in the periods into which a tax loss arising
from the deferred tax asset can be carried back or forward).
In evaluating whether it will have sufficient taxable profit
in future periods, an enterprise ignores taxable amounts
arising from deductible temporary differences that are
expected to originate in future periods, because the
deferred tax asset arising from these deductible temporary
differences will itself require future taxable profit in
order to be utilised; or
(b) tax planning opportunities
are available to the enterprise that will create taxable
profit in appropriate periods.
30. Tax planning opportunities
are actions that the enterprise would take in order to create
or increase taxable income in a particular period before the
expiry of a tax loss or tax credit carryforward. For example,
in some jurisdictions, taxable profit may be created or
increased by:
(a) electing to have interest
income taxed on either a received or receivable basis;
(b) deferring the claim for
certain deductions from taxable profit;
(c) selling, and perhaps
leasing back, assets that have appreciated but for which the
tax base has not been adjusted to reflect such appreciation;
and
(d) selling an asset that
generates non-taxable income (such as, in some jurisdictions,
a government bond) in order to purchase another investment that generates taxable income.
Where tax planning opportunities
advance taxable profit from a later period to an earlier
period, the utilisation of a tax loss or tax credit
carryforward still depends on the existence of future taxable
profit from sources other than future originating temporary
differences.
31. When an enterprise has a
history of recent losses, the enterprise considers the
guidance in paragraphs 35 and 36.
32. [deleted]
Previous |
Index |
Next
|