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UNIVERSITY OF MUMBAI
PROJECT REPORT ON
INTERNATIONAL FINANCIAL
REPORTING STANDARD
BY
Mr. OJAS NITIN NARSALE
M.COM (Part-I) (SEM-II) (Roll No.40)
ACADEMIC YEAR 2015-2016
PROJECT GUIDE
PROF. NEETA NERURKAR
PARLE TILAK VIDYALAYA ASSOCIATION’S
M.L. DAHANUKAR COLLEGE OF COMMERCE
DIXIT ROAD, VILE PARLE ( E)
MUMBAI- 400057
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DECLERATION
I, Mr. OJAS NITIN NARSALE of PARLE TILAK VIDYALAYA
ASSOCIATION’S M.L. DAHANUKAR COLLEGE OF
COMMERCE of M.COM(Part-I) (SEM-II) (Roll No.40) hereby
declare that I have completed this project on INTERNATIONAL
FINANCIAL REPORTING STANDARD in the ACADEMIC
YEAR 2015-2016.This information submitted is true and original to
the best of my knowledge.
(Signature of Student)
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ACKNOWLEDGEMENT
To list who all helped me is difficult because they are so numerous
and the depth is so enormous.
I would like to acknowledge the following as being idealistic channels
and fresh dimensions in the completion of this project.
I would firstly thank the University of Mumbai for giving me chance
to do this project.
I would like to thank my Principal, Dr. Madhavi Pethe for providing
the necessary facilities required for completion of this project.
I even will like to thank our co-ordinator, for the moral support that I
received.
I would like to thank our College Library, for providing various
books and magazines related to my project.
Finally I proudly thank my Parents and Friends for their support
throughout the Project.
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INDEX
Sr No Topic Page
1 About Accounting 5
2 Evolution Of IFRS 6
3 India And IFRS 7
4 Convergence of IFRS and decision to adopt
IFRS
7
5 Road Map 10
6 Roadmap for the adoption Of IND AS
(IFRS)
14
7 Differences between Ind AS and IFRS 16
8 Advantages 30
9 Disadvantages 31
10 Conclusion 35
11 Bibliography 38
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ABOUT ACCOUNTING
The history of accounting or accountancy is thousands of years old and can be traced
to ancient civilizations.
The early development of accounting dates back to ancient Mesopotamia, and is closely
related to developments in writing, counting and money and early auditing systems by the
ancient Egyptians and Babylonians. By the time of the Emperor Augustus, the Roman had
access to detailed financial information.
According to some Indian scriptures, the Indian Chanakya wrote a manuscript similar to a
financial management book, during the period of the Mauryan Empire. His book
"Arthashasthra" contains few detailed aspects of maintaining books of accounts for a
Sovereign State.
The Italian Luca Pacioli, recognized as The Father of accounting and bookkeeping was the
first person to publish a work on double-entry bookkeeping, and introduced the field in
Europe. Accounting began to transition into an organized profession in the nineteenth
century, with local professional bodies in England merging to form the Institute of Chartered
Accountants in England and Wales in 1880.
To develop a broader view of the accounting profession, auditors and accountants need to be
aware of both national and international professional standards. However contemporary
Western schools of thought on accounting do not acknowledge the historical contributions of
non- European cultures. A better-rounded view could be achieved through acknowledging the
accomplishments of non-Western cultures in the development of professional practices,
particularly the accounting profession.
Ancient India is a prime example of a culture whose accounting practices merit more
attention due to their complexity and innovation. Looking back at Indian history, one finds
that the art and practice of accounting were present in India even in Vedic times The Rig-
Veda has references to accounting and commercial terms like kraya (sale), Vanij (merchant),
sulka (price).
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EVOLUTION OF IFRS
The term IFRS has both a narrow and a broader meaning. Narrowly, IFRSs refers to the new
numbered series of pronouncements that the IASB is issuing, as distinct from the
International Accounting Standards (IASs) series issued by its predecessor. More broadly,
IFRSs refers to the entire body of IASB pronouncements, including standards and
interpretations approved by the IASB and IASs and SIC interpretations approved by the
predecessor International Accounting Standards Committee.
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INDIA AND IFRS
On January 18, 2011, the Institute of Chartered Accountants of India (ICAI)
announced their intention to converge with IFRS by issuing an exposure draft calling for
the release of 35 Ind AS’ (Indian Accounting Standards).
After consultation from the Ministry of Corporate Affairs (MCA), the roadmap of
convergence began.
These standards were designed using the ‘Framework for the Preparation and Presentation of
Financial Statements’, prepared by the ICAI, as a reference point. (ICAI, 2011) It is a
decision that is sure to benefit India in the future. IFRS adoption is heavily widespread,
with around 141 countries permitting or requiring it either completely or in part
according to a 2014 study by PwC.
With India enjoying high economic growth and added importance as a burgeoning
superpower in the world, there is a growing need for adherence to international standards
of business.
CONVERGENCE OF IFRS AND DECISION TO ADOPT IFRS
The convergence to IFRS was going relatively slow in India until the
Parliament passed the new Companies Act, requiring the preparation of consolidated
financial statements. (MCA, 2014) This has urged the ICAI to make a concrete roadmap,
which it recently finalized during its council meetings on March 20-22, 2014.
It is important to define the terms harmonization,
standardization and convergence. Convergence is the process of bridging gaps between
two different entities, in this case being IFRS and the country trying to adopt it.
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According to Christopher Nobes, harmonization is “a process of increasing the
compatibility of accounting practices by setting bounds to their degree of variation”. If
everything is completely compatible, a state of harmony is reached.
Nobes defines standardization as “working towards a more rigid and narrow set of rules.”
(Nobes &Parker, 2010, p. 75) It wouldn’t be erroneous to state that both the terms are similar.
IASB, the body that produces IFRS, has worked towards worldwide harmonization of
accounting standards since its inception.
A cautionary tale regarding the need for a uniform set of accounting standards is
the Asian financial crisis in the late 1990s. Investors believed that Thailand would no
longer be suitable for foreign investment and took back their money, creating an
economic crisis. A contagion effect occurred in countries like Indonesia and South Korea,
nations with similar economies to Thailand due to their trade links. (Walker, 1998)
Indonesia suffered heavily in the crisis despite having a healthy economy. A universal set
of accounting standards could have gone some way to stopping it, as the investors would
have made better decisions regarding their money.
Today, the general consensus is that there is a need for a uniform set of
accounting standards system worldwide. There are various advantages and a few
disadvantages to this.
For India, acknowledgement of convergence to IFRS will give
them access to capital markets that were previously not available to use for them. Stock
appraisers and financial analysts from different countries will now be able to analyze
Indian firms due to their comparability.
Convergence to IFRS gives investors and analysts added confidence to make the right choice
when it comes to investment decisions. This, in turn, could result in reducing the cost of
capital. Another advantage lies in the fact that India receives a lot of FDI due to the increased
prevalence of multinational corporations. India’s status as a growing superpower attracts
many MNCs.
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Comparable financing reporting will be beneficial for both the MNCs involved and India
as well. The work of MNC accountants would be much easier if all the countries had
similar financial statements. In most cases, MNCs operate in countries using IFRS as a
benchmark. Knowing that India has agreed to converge could create interest from more
MNCs to set up operations in India. It will also be easier for MNCs to move their
financial staff to different countries because of the comparability.
Despite an overwhelming gamut of positives resulting from convergence to a
universal set of standards, there remain a few disadvantages. IFRS still has not been able
to achieve an accord with the United States and their use of GAAP. Indian companies
will not be able to access the United States’ vast capital market unless it writes statements
that conform directly to IFRS. Another disadvantage is that every country has a specific
reason for using financial reporting. Some use it for tax purposes, some for obtaining
capital. Complete harmony is hard to achieve due to the individual prerogatives of each
country when it comes to their financial reporting. This is one of the reasons why IASC
didn’t achieve that much support in the Eastern European countries as well as Japan
before it became the IASB.
MCA’s roadmap is facing some delays primarily due to tax issues, an example of how it is
hard to achieve standardization in every country.
There are already various differences between Ind AS and IFRS in order to accommodate
India’s economic climate.
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ROADMAP AND DECISION TO ADOPT IFRS
In 2007, the ASB of the ICAI produced a Concept Paper made by their task force and
submitted it to the ICAI. The ICAI made a public commitment of convergence to IFRS
before 31 December, 2011. This announcement gained traction in the Indian political
climate, leading to the government announcing the same commitment of converge by the
end of 2011 a year later from the announcement by the ICAI. Even during its inception,
the aim of convergence was not to fully conform to IFRS but rather to modify the
standards for acclimatization to India’s business environment. Factors such as “the legal
and regulatory environment, economic conditions, industry preparedness and practice as
well as the removal of some options permitted under IFRS” (ESMA, 2014, p. 8) were
implemented to create a sense of compromise between IFRS and the way business is
done in India.
In February 2011, the MCA released a total of 35 Ind AS’ on their website, with
each standard containing an appendix highlighting the differences between it and its
counterpart in the IFRS. (There were some standards not included: IFRS 9 – Financial
Instruments, IAS 26 – Accounting and Reporting by Retirement Benefit Plans and IAS
41 – Agriculture) What was baffling about the release of these standards at the time was
that they were neither notified under the Companies Act of 1956 nor corroborative with
tax functions for the government. Following the release of the standards, the ICAI
continued to revise or add new standards to the fray. Revision was done through
consultation with the NACAS, with additional standards being added whenever the IASB
issues more IFRS’. (ICAI, 2011)
The initial press release by the MCA while they were in the process of preparing
the standards indicated a three-phased roadmap for Indian companies, as deadlines were
set for certain companies to conform to Ind AS by April 1st of 2011, 2013 or 2014. The
date of conformation was based on a range of criteria applicable to the net worth of a
company. Prominent insurance companies in India were slated to conform by 2012,
whereas banks in India had to accept these changes either in 2013 or 2014, dependent on
the volume and nature of their activities. This proved to be a hasty decision, as the MCA
had another press release following the issuance of the standards during February 2011,
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where they indicated that the earlier deadlines could not be implemented in such a rigid
manner. Mostly due to tax-related reasons, the MCA decided to scrap the earlier plan and
announced that another roadmap would be provided once the various kinks were sorted.
From that time till present, various measures have been undertaken by the Indian
government to allow smoother harmonization. 2013 saw the Indian government adopting
a new Companies Act in order to facilitate the various new provisions convergence to
IFRS required. To resolve issues of tax, the Indian Ministry of Finance drafted Tax
Accounting Standards to account for the conflicts between accounting and taxation. The
ICAI performed several impact analyses to examine how these standards would change
the course of business for large companies as well as SMEs in various sectors. (ESMA,
2014) 2013 saw Prabhakar Kalavacherla, the only Indian member on the board of the
IASB, leave the organization after a five year term to join KPMG. There were concerns
regarding how this would affect India’s influence in the IASB. It wouldn’t be erroneous
to state that India continues to possess importance in the organization despite the
departure of Kalavacherla. The fact that India recently hosted the 8th IFRS Regional24
Policy Forum in March 2014 is testament to that. (ESMA, 2014, p. 12)
On 11 July 2014,
Finance Minister Arun Jaitley proposed the budget to the Indian Parliament, with one of
the topics of discussion being convergence of Ind AS and IFRS. Here is an excerpt of his
speech:
“There is an urgent need to converge the current Indian accounting standards with the
International Financial Reporting Standards (IFRS). I propose for adoption of the new
Indian Accounting Standards (Ind AS) by the Indian companies from the financial year
2015-16 voluntarily and from the financial year 2016-17 on a mandatory basis. Based on
the international consensus, the regulators will separately notify the date of
implementation of AS Ind for the Banks, Insurance companies, etc. Standards for the
computation of tax would be notified separately.” (India Budget, 2014)
The most recent revised roadmap from the ICAI came as a by-product of Jaitley’s
words. On 16 February 2015, the MCA set forth new dates of Ind AS applicability for
certain companies that qualified. Adoption to the IFRS meant the creation of financial
statements. The Companies Act of 2013 decomposes financial statements into five facets:
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“a balance sheet, a profit or loss account (equivalent to the income statement in the US),
cash flow statement, a statement of changes in equity (equivalent to the statement of
retained earnings in the US) and any explanatory notes.” (MCA, 2013) The first time
adoption date is slated to the accounting period beginning on or after 1 April 2016 for
companies with the following criteria:
a) Entities listed or in the process of listing on any stock exchange in India or abroad,
containing a net worth of Rs. 500 crores or more (equivalent to 80.25 million USD). The
New Companies Act of 2013 defines net worth as a formula equivalent to “paid-up share
capital + reserves created out of the profits (excludes reserves created out of revaluation of
assets, write-back of depreciation and amalgation) + securities premium account –
accumulated losses – deferred expenditure – miscellaneous expenditure not written off as per
the balance sheet.”
b) Unlisted companies having a net worth in excess of Rs. 500 crore
c) Holding, subsidiaries,
The comparative for these financial statements will start with periods “ending 31 March
2016 or thereafter”. The first instances of these financial statements must be submitted
using the Ind AS on financial years ending on 31 March 2017.
The MCA set forth additional rules for companies who did not qualify in the
criteria described to be required for mandatory Ind AS adoption on 1 April 2016. It set
forth mandatory adoption to IFRS exactly a year later than the aforementioned companies
(the date being 1 April 2017) for companies which met the following criteria:
a) Listed companies having a net worth of less than Rs. 500 crore
b) Unlisted companies having a net worth of more than Rs. 250 crore but less than Rs. 500
crore (the latter would conflict with the criteria set forth in the guidelines provided for a year
earlier)
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c) Holding, subsidiaries, joint venture or associated of the companies attested to be in a) or b)
The comparative for these financial statements will start with periods “ending 31 March
2017 or thereafter”. The first instances of these financial statements must be submitted
using the Ind AS on financial years ending on 31 March 2018. Once these companies
start their conformation to Ind AS, they are not allowed to change should they veer away
from the criteria that previously mandated them to adopt Ind AS. (Deloitte, 2015, p. 4)
The announcement on 16 February, 2015 also announced the concept of voluntary
adoption. This is seen as beneficial by many countries who want to promote themselves
worldwide. IFRS is seen as the prevalent accounting standard of the world today and Ind
AS uses its template and is seen as very similar (though there may be some differences
that cannot be reconciled). The MCA announced that companies “may voluntarily adopt
Ind AS for financial statements for accounting periods beginning on or after 1 April
2015, with the comparatives for the periods ending on 31 March 2015 or thereafter.”
However, similar to the aforementioned companies, this option is irrevocable.
Once Ind AS is adopted, it cannot change it for all their subsequent financial
statements. Adoption indicates compliance of companies to both its standalone financial
statements and consolidated financial statements. An overseas subsidiary, associate, joint
venture, etc. of an Indian company is required by the respective parent company to
prepare its consolidated statements in Ind AS, even if they are required in other countries
to prepare different financial statements. Similarly, an Indian company which happens to
be a joint venture, subsidiary, associate, etc. of a foreign company must comply with Ind
AS if it meets the criteria mentioned earlier. The rules clearly do not apply for companies
not attaining the criteria mentioned above, but they also do not apply to companies whose
securities are already listed or are on the process of being listed on SME exchanges
(Small and Medium Enterprises). An interesting rule set forth by the ICAI roadmap
concerns Indian companies already using IFRS to conduct business. To get into the
Indian market, these companies must use Ind AS in their consolidated statements. This
rule brings queries over whether there are significant differences between IFRS and Ind
AS
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ROADMAP FOR THE ADOPTION OF IND AS (IFRS)
Roadmap drawn-up for implementation of Indian Accounting Standards (Ind AS) converged
with International Financial Reporting Standards (IFRS) for Scheduled Commercial Banks
(Excluding Rrbs), Insurers/Insurance Companies and Non-Banking Financial Companies
(NBFC’s)
In pursuance to the Budget Announcement by the Union Finance Minister Shri Arun Jaitley,
after consultations with Reserve Bank of India (RBI), Insurance Regulatory and Development
Authority(IRDA) and Pension Fund Regulatory and Development Authority (PFRDA), the
following roadmap for implementation of Indian Accounting Standards (Ind AS) converged
with International Financial Reporting Standards (IFRS) for Scheduled commercial banks
(excluding RRBs), insurers/insurance companies and Non-Banking Financial Companies
(NBFC’s) has been drawn up:
(I.) Scheduled commercial banks (excluding RRBs) and Insurer/Insurance Companies:
(a) Scheduled commercial banks (excluding Regional Rural Banks (RRBs), All-India Term-
lending Refinancing Institutions (i.e. Exim Bank, NABARD, NHB and SIDBI) and
Insurers/Insurance companies would be required to prepare Ind AS based financial statements
for accounting periods beginning from April 1, 2018 onwards, with comparatives for the
periods ending March 31, 2018 or thereafter. Ind AS would be applicable to both
consolidated and individual financial statements.
(b) Notwithstanding the roadmap for companies, the holding, subsidiary, joint venture or
associate companies of Scheduled commercial banks (excluding RRBs) would be required to
prepare Ind AS based financial statements for accounting periods beginning from April 1,
2018 onwards, with comparatives for the periods ending March 31, 2018 or thereafter.
(c) Urban Cooperative Banks (UCBs) and Regional Rural Banks (RRBs) shall not be
required to apply Ind AS and shall continue to comply with the existing Accounting
Standards, for the present.
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(II.)NBFCs:
NBFCs will be required to prepare Ind AS based financial statements in two phases:
(a) Under Phase I, the following categories of NBFCs shall be required to prepare Ind AS
based financial statements for accounting periods beginning from April 1, 2018 onwards with
comparatives for the periods ending March 31, 2018 or thereafter. Ind AS would be
applicable to both consolidated and individual financial statements.
(i) NBFCs having net worth of Rs.500 crores or more.
(ii) Holding, subsidiary, joint venture or associate companies of companies covered under
(a)(i) above, other than those companies already covered under the corporate roadmap
announced by the Ministry of Corporate Affairs (MCA), Government of India (GoI).
(b) Under Phase II, the following categories of NBFCs shall be required to prepare Ind AS
based financial statements for accounting periods beginning from April 1, 2019 onwards with
comparatives for the periods ending March 31, 2019 or thereafter. Ind AS would be
applicable to both consolidated and individual financial statements.
(i) NBFCs whose equity and/or debt securities are listed or are in the process of listing on any
stock exchange in India or outside India and having net worth less than Rs.500 crores.
(ii) NBFCs other than those covered in (a)(i) and (b)(i) above, that are unlisted companies,
having net worth of Rs.250 crores or more but less than Rs.500 crores.
(iii) Holding, subsidiary, joint venture or associate companies of companies covered under
(b) (i) and (b)(ii) above, other than those companies already covered under the corporate
roadmap announced by the MCA, GoI.
NBFCs having net worth below Rs. 250 Crores and not covered under the above provisions
shall continue to apply Accounting Standards specified in Annexure to Companies
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(Accounting Standards) Rules, 2006.
(III.)Scheduled commercial banks (excluding RRBs)/NBFCs/insurance companies/insurers
shall apply Indian Accounting Standards (Ind AS) only if they meet the specified criteria,
they shall not be allowed to voluntarily adopt Indian Accounting Standards (Ind AS). This,
however, does not preclude an insurer/insurance company/NBFC from providing Ind AS
compliant financial statement data for the purposes of preparation of consolidated financial
statements by its parent/investor, as required by the parent/investor to comply with the
existing requirements of law.
LIST OF DIFFERENCES BETWEEN IND AS AND IFRS
There are currently 39 Ind AS published in tandem by the ICAI and the MCA. To
analyze the differences between Ind AS and IFRS, I used the 2015 Deloitte report titled
“Indian GAAP, IFRS and Ind AS: A Comparison” and the 2011 PwC report titled
“Decoding the differences: Comparison of Ind AS with IFRS.”
Types of Differences:
The point of this research paper is to headline the big, irreconcilable differences between
Ind AS and IFRS so that one could look with added importance to these facets and try to
solve them. All quotations in this subsection are taken either from the 2015 Deloitte
report titled “Indian GAAP, IFRS and Ind AS: A Comparison” or the 2011 PwC report
titled “Decoding the differences: Comparison of Ind AS with IFRS.” It would be
advisable at this point to separate the aforementioned differences into various subcategories
based on their various degrees of irreconcilability. Therefore, the subcategories
are the following: possible irreconcilable differences, repairable differences and textual
differences. The difference between repairable differences and textual differences lies in
theory and practice: repairable differences involve different business practices between
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Ind AS and IFRS that can be reconciled without much degree of difficulty, whereas textual
differences are those in which contrast can only be found in definitions, formats
or types of disclosure.
The focus is mostly on the possible irreconcilable differences between Ind AS and
IFRS, something explored in the next chapter. These are the possible irreconcilable
differences found:
• Ind AS 103: Business Combinations in contrast to IFRS 3: Business
Combinations
• Ind AS 19: Employee Benefits in contrast to IAS 19: Employee Benefits
• Ind AS 32: Financial Instruments-Presentation in contrast to IAS 3
Since these three important facets are discussed with heavy detail in the
subsequent chapter, it would be advantageous to separate the rest of the differences into
repairable and textual. In the case where one standard contains both repairable and textual
differences, it is classified in the repairable difference category. The following contains
all the repairable differences between Ind AS and IFRS:
• Ind AS 1 – Presentation of Financial Statements: The repairable difference in this
standard has to do with breaching certain covenants of long-term liabilities and
whether it should be a current liability if the lender has not demanded payment as
a consequence of the aforementioned breach. It is when the lender agrees after the
reporting period but before the approval of financial statements where IFRS and
Ind AS differ in their practicality. IFRS continues to classify the liability as
current even if the lender has agreed in that time, whereas Ind AS does not.
Textual differences include a) differences in terminology; b) recent amendments
to IFRS not seen in Ind AS as of yet; c) IFRS conducting an expense analysis
based on either nature or function while Ind AS uses only nature; and d) the
option of giving single as well as separate statements of profit & loss as well as
OCI in IFRS whereas Ind AS only allows for a single income statement
containing both.
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• Ind AS 10 - Events after the Reporting Period: The difference lies in what each
set of standards does with lender permission after the reporting period but before
the financial statements are due as aforementioned, thus making it practical by
nature.
• Ind AS 12 – Income Taxes: Due to Ind AS’ practicality-altering ban of the fair
value model, one cannot measure investment property with regards to income
taxes. Another repairable difference in income taxes is seen in business
combinations when the carrying amount of goodwill is zero. According to IFRS,
any remaining deferred tax benefit is recognized in profit & loss whereas in Ind
AS, it is recognized in OCI and subsequently accumulated either in equity as a
capital reserve or recognized directly in capital reserve.
• Ind AS 17 – Leases: Property interests in operating leases are recognized in IFRS
using the fair value model, not allowed in the Indian accounting environment.
Another facet of leases seen as repairable is in lease income from operating
leases. IFRS instantly recognizes it on a straight-line basis while Ind AS contains
a provision for protection against inflation in which case straight-line basis should
not be used.
• Ind AS 21 – The Effects of Changes in Foreign Exchange Rates: There are
repairable as well as textual differences in this standard when compared to its
IFRS counterpart. A repairable difference is that IFRS requires that all gains and
losses arising on retranslation of monetary assets and liabilities denominated in a
foreign currency to be recognized in profit or loss. “Ind AS adds an option for
entities if the entity wants to recognize unrealized exchange differences arising on
translation of long-term monetary items denominated in a foreign currency
directly in equity, and accumulated as a separate component therein. These
differences must be sufficiently transferred to profit & loss over the period of
maturity. The option is exercisable when the differences are initially recognized.
Once exercised, it is irrevocable and applied for all long term monetary items.”
Textual differences in this standard include a) a change in an entity’s functional
currency must disclose the fact and reason of change as denoted by IFRS whereas
Ind AS adds another disclosure to the mix with the date of change; and b) during
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the beginning year of convergence to Ind AS, entities are given an option to use
the previous year’s policy as per Indian GAAP.
• Ind AS 24 – Related Party Disclosures: There is a repairable as well as a textual
component to this standard. The repairable difference arising from Ind AS
containing an option which eliminates the need for related party disclosures if
they conflict with “the confidentiality requirements of statute, a regulator or
similar competent authority, on the basis that accounting standards cannot
override legal/regulatory requirements.” IFRS requires that disclosures be made in
any case. What makes this difference somewhat problematic is the fact that
entities can misuse it to their advantage. Also, the term similar competent
authority is quite vague and easy to be misrepresented. The textual difference
involves the definition of a close member of the family. Ind AS has rigid rules for
this, indicating that a brother, father, mother and sister automatically qualify as a
close member of the family and are already included. IFRS focuses the criterion
onto people who may be expected to influence, or be influenced by, that
individual in their dealings with the entity.
• Ind AS 28 – Investments in Associates and Joint Ventures: This can be
subdivided into one repairable difference and two textual differences. The
repairable difference is what IFRS and Ind AS both individually do to any excess
of the investor’s share of net fair value of the associate’s identifiable assets and
liabilities over the cost of investments. For IFRS, it is included in profit & loss
during the same period it occurs in. For Ind AS, it is directly recognized as capital
reserve in equity. The two textual differences are a) the absolute need for uniform
accounting policies in IFRS whereas in Ind AS, there is a need unless it is
impracticable to do so; and b) Ind AS prohibits the use of equity method for
investments in subsidiaries, allowing only for the use of cost whereas IFRS gives
the entity an option between cost or equity method.
• Ind AS 38 – Intangible Assets: Usually, adoption to IFRS means a holistic ceding
to its policies and practices. However, Ind AS allows some leeway when it comes
to using the same amortization policy of intangible assets related to service
20
concession arrangements when it comes to toll roads as it did in Indian GAAP. It
allows the entity to incorporate the same policies used in Indian GAAP during the
first new years of Ind AS convergence. This option is not seen in IFRS.
• Ind AS 101 – First Time Adoption of Ind AS: There are elements of this already
discussed in previous sections, such as what to do with exchange differences
arising from translation of long-term foreign currency monetary items,
amortization of intangible assets arising from service concession arrangements
and zero goodwill from previous business combinations. The major differences
seen in this area have to do with the transitional relief, a sort of comfort against
the whirlwind of change that is Ind AS. These reliefs allow an entity to continue
using some of the policies it did during Indian GAAP for various topics, whether
it be lease classification, non-current assets held for sale or discontinued
operations, or previous P,P&E carrying values (also includes intangibles as well
as investment properties).
• Ind AS 110 – Consolidated Financial Statements: The difference in this has to do with
investment property measurement, done in IFRS through fair value basis.
The fair value model is not yet allowed in Ind AS.
• Ind AS 114 – Regulatory Deferral Accounts: Ind AS provides transitional relief to
“an entity subject to rate regulation coming into existence after Ind AS coming
into force or an entity whose activities become subject to rate regulation
subsequent to preparation and presentation of first Ind AS financial statements”,
allowing them to use previous Indian GAAP policies. IFRS does not require that
an entity adopt this standard. However, once the standard is adopted, one must
continue using it for its subsequent financial statements.
• Ind AS 115 – Revenue from Contracts with Customers: Variable considerations in
the form of penalties are measured in Ind AS as per the substance of the contract.
This is something not seen in IFRS.
Finally, this section contains all the standards that have only textual differences in
its literature and function:
21
• Ind AS 7 – Statement of Cash Flows: Ind AS contains stringent rules on what to
do with interest and dividends, something that IFRS gives an entity leeway to, as
long as there is consistency between period to period. Ind AS gives different rules
for financial entities when compared to others, as interest paid and received as
well as dividend received are operating activies. Furthermore, dividend paid is a
financing activity. For all other entities in compliance with Ind AS, interest and
dividend received are investing activities while interest and dividend paid are
financing activities.
• Ind AS 20 – Accounting for Government Grants and Disclosure of Governmental
Assistance: There are two textual differences seen in this standard. The first one
involves what IFRS and Ind AS do with government grants related to assets. IFRS
puts them in the statement of financial position either as deducted from the
carrying amount of the asset or as deferred income. Ind AS gives only the option
of placing it as deferred income. Another difference involves non-monetary
government grants. In IFRS, an entity can use either at fair value or nominal
amount, whereas in Ind AS, they are classified only at fair value.
• Ind AS 27 – Separate Financial Statements: The difference involves accounting
for the investments in subsidiaries in separate financial statements of the parent.
IFRS either uses the cost method (IFRS 9) or equity method (IAS 28), whereas in
Ind AS, an entity is only allowed to use the cost method.
• Ind AS 29 – Financial Reporting in Hyperinflationary Economies: The difference
involves the various disclosure requirements when the economy is in
hyperinflation. IFRS requires that disclosures be made regarding the measuring
unit current at the end of the financial period, whether financial statements are
based on historical or current cost as well as the identity and level of the price
index at the end of the reporting period. In addition to this, Ind AS asks for
another disclosure in the form of the total duration of the hyperinflationary
situation.
22
• Ind AS 33 – Earnings Per Share: There are three main differences seen in this
section. The first involves what entities require EPS. For Ind AS, this involves all
entities issuing ordinary shares applicable to the Companies Act. In IFRS, this is
applicable to all parents or companies part of a parent:
“i) whose ordinary shares or potential ordinary shares are traded in a public market (a
domestic or foreign stock exchange or an over-the-counter market, including local and
regional markets); or
ii) that files, or is in the process of filing, its financial statements with
a securities commission or other regulatory organization for the purpose of
issuing ordinary shares in a public market.”
The difference lies in the stringency.The second difference involves EPS when there are both
consolidated and separate financial statements.
In IFRS, EPS is only required in the consolidated statements, with a voluntary option in
separate statements. In Ind AS, EPS is required to be presented in both. The third difference
involves Ind AS and its recognition of income or expenses in the capital reserve account. In
the cases where it does this, profit & loss from continuing operations should be adjusted to
calculate a correct EPS. This is not seen in IFRS, which immediately dispenses it
in profit & loss.
• Ind AS 40 – Investment Property: The only difference in this standard involves
which technique an entity measures investment property with. IFRS allows an
option or either cost or fair value. For Ind AS, the fair value option is not allowed,
therefore making investment property only at cost.
23
POSSIBLE IRRECONCILABLE DIFFERENCES
Using an analysis of all the differences between Ind AS compared to IFRS, it
wouldn’t be erroneous to state that there are three possible irreconcilable differences
amongst the two sets of standards. All quotations in this subsection are taken either from
the 2015 Deloitte report titled “Indian GAAP, IFRS and Ind AS: A Comparison” or the
2011 PwC report titled “Decoding the differences: Comparison of Ind AS with IFRS.”
These three differences are seen in the standards Ind AS 19 – Employee Benefits, Ind AS
Financial Instruments: Presentation and Ind AS 103 – Business Combinations.
1: Ind AS 19 – Employee Benefits
The possible irreconcilable difference in this topic lies in the usage of the discount
rate for post-employment benefit obligations. IAS 19 in IFRS indicates that the discount
rate must be computed by referring to market yields on high quality corporate bonds at
the end of the reporting period. However, IFRS also acknowledges the fact that some
countries do not have deep markets for these bonds. In that case, a replacement is used in
the form of government bond yields. It is to be noted that one cannot use government
bond yields in IFRS unless there is no deep market for high quality corporate bonds.
Ind AS 19 acknowledges that India possesses no such deep market for high
quality corporate bonds as such. It explicitly states that there is a requirement to use only
the market yield for government bonds to find the discount rate for post-employment
benefit obligations. There is no literature from the ICAI or the MCA regarding high
quality corporate bonds. It has removed the option of using high quality corporate bonds
on the likely reason that India does not possess a deep market for them.
However, that reasoning is very archaic when considering the international nature
of business today. While the difference is not said to affect solely domestic companies,
most companies that are required to adhere to Ind AS soon are unlikely to be solely
domestic. Successful Indian companies have succeeded in establishing overseas
subsidiaries in countries where there are markets for high quality corporate bonds. These
overseas subsidiaries are likely to have defined benefit schemes. If they are in countries
that have a deep market for high quality corporate bonds, such as the UK or the US, it
will lead to an irreconcilable difference. Those subsidiaries will have to submit financial
reports adhered to the country they are operating in as well as to their parent Indian
company. This is where the difference will arise.
24
The parent Indian company will ask for the discount rate to be referenced to
government bonds, whereas the regulatory bodies of the country they are operating in
will likely ask for the discount rate to be referenced to high quality corporate bonds. The
difference in amounts will lead to confusion by the subsidiary, as it will then need to
show two different calculations when it comes to post-employment benefit obligations.
One might argue that this irreconcilable difference can be easily solved should Ind
AS change its literature a tad to reflect on the international nature of business. It must
realize that companies that are forcefully required to adhere to Ind AS in the next two
years are likely to have subsidiaries or operations in countries that possess a deep market
for high quality corporate bonds. These companies are likely to have discrepancies when
they too come across previously-outlined situations that cause differences. The literature
of Ind AS is also neglecting the fact that India could also possess a deep market for high
quality corporate bonds in the years to come, especially since India is one of the world’s
fastest growing economies.
A solution to the ICAI or the MCA would be to reinstate the original language of
the corresponding standard in the IFRS onto Ind AS 19. Not only would this provide
greater clarity to the situation, it will also limit differences that are likely to appear if the
literature is the same as it is now. The current Ind AS 19 literature has several problems
to it. Firstly, it ignores India’s prospects of procuring a deep market for high quality
corporate bonds in the future. Should India be capable of doing this, the literature will
have to go through a change anyways once it does so. High quality corporate bonds
provide a much better reference point to the discount rate for post-employment benefit
obligations than government bonds. Secondly, it ignores the fact that business is very
international in nature today. Should companies adopt Ind AS, there is a high probability
that differences will occur if these companies have operations or subsidiaries in countries
with deep markets for high quality corporate bonds. While this can be currently classified
as a potentially irreconcilable difference, a solution to fixing this is not that hard to
formulate or implement. In fact, it wouldn’t be erroneous to state that the proposed
solution is better for Ind AS’ future than the current state of rules.
25
2: Ind AS 32 – Financial Instruments: Presentation
The possible irreconcilable difference in this section between Ind AS and IFRS
arises when it comes to the definition of a financial liability. When it comes to the
conversion option embedded in a foreign currency convertible bond (FCCB), IFRS only
recognizes equity in the form of the entity’s functional currency. Thus, IFRS users have
to fair value this instrument at the end of every reporting period, with differences being
accounted for in profit & loss. Ind AS 32 gives more legroom for its entities to maneuver,
allowing the FCCB to be classified as an equity instrument “if it entitles the holder to
acquire a fixed number of entity’s own equity instruments for a fixed amount of cash, and
the exercise price is fixed in any currency.” In the case of Ind AS, there is no specific
need to use fair value as a means to re-measure, as IFRS users are required to do.
A question must be asked over why the ICAI insisted on these provisions in
which these instruments can be exercised in any currency. A prevailing reason is that
these provisions were made to prevent income statement volatility that arises from IFRS
accounting for “(a) translations of long term monetary items from foreign currency to
functional currency (i.e. IAS 21) and (b) equity conversion options in a foreign currency
convertible bond denominated in foreign currency to acquire a fixed number of entity’s
own equity instruments for a fixed amount in a foreign currency (i.e. IAS 32).” Indian
companies are known to issue long-term FCCBs in a currency different from the entity’s
functional currency in order to obtain foreign funds at a competitive rate. These
instruments contain a relatively simple conversion option, as the number of shares to be
issued at a certain fixed foreign currency is indicated in all the literature accompanying it.
These FCCBs will cause differences should they be accounted for either in IFRS or in Ind
AS.
In IFRS, these FCCBs will undergo split accounting due to their convertible
nature, meaning that these bonds will be separated into two components and subsequently
accounted for in different ways. The pure liability portion of the FCCB is initially
measured at fair value, with subsequent measurements to be done in amortized cost. Any
foreign exchange translation difference resultant to this has to be recognized in the
respective year’s profit & loss account. The conversion feature of this FCCB is treated by
IFRS as a derivative liability. It treats it as a liability rather than equity because of its
failure to achieve the “fixed-for-fixed condition”, seen in IFRS literature as “a contract
26
that will be settled by the entity (receiving or) delivering a fixed number of its own equity
instruments in exchange for a fixed amount of cash or another financial asset is an equity
instrument.” The fact that there is exchange rate variation negates this fixed-for-fixed
condition, making both portions of the convertible bond different types of liability. Once
again, the profit & loss account is used as an offset for any kind of future re-measurement
seen in this account as well.
It is in the latter component of the accounting described in the paragraph above
where differences start to arise between Ind AS and IFRS. Ind AS 21 allows companies
an irrevocable option to recognize exchange differences on the translation of long term
monetary items (similar to the discussed FCCBs) from foreign currency to functional
currency in equity. These amounts in equity will subsequently be transferred to profit &
loss throughout the maturation of the FCCBs. This rule proves to be in direct opposition
to the guidelines prescribed by IFRS. Under these rules, the component which is seen as a
derivative liability by IFRS will be seen as equity under Ind AS. This will prove to have
big irreconcilable differences should the entity write its financial statements in both IFRS
and Ind AS.
Unlike Ind AS 19, there seems to be greater difficulty associated with trying to
reconcile this difference and envisioning a common solution. The easiest solution could
be to remove the irrevocable option described in Ind AS 21 that allows you to recognize
exchange differences on the translation of these instruments from foreign currency to
functional currency in equity. However, Ind AS 19 has prescribed this option in order to
facilitate a clean transition from Indian GAAP to Ind AS. Many companies will not be
happy about the move to Ind AS should the transition cause widespread negative impact
for covenants required to be at a certain level for them to obtain external financing.
Classifying both convertible portions as liability is certain to negatively impact certain
ratios, as there is a marked increase to liability. A possible solution could be to change
the literature once companies get a grasp of Ind AS, probably within five or ten years of
adopting it. This would give companies more time to try and ponder solutions for this
increase in liability. It would also give Indian companies more impetus to adopt Ind AS
for the time being, as the current Ind AS literature allows for the policies for long term
monetary assets to be the same as they were for Indian GAAP. This makes it easier for
companies slated to convert to Ind AS in the next two years to make a quicker transition
27
to these rather new and alien sets of accounting standards.
3: Ind AS 103 – Business Combinations
Unlike the previous two standards, Ind AS 103 contains two possible
irreconcilable differences in its literature that set it apart from IFRS. The first possible
irreconcilable difference arises when accounting for business combinations of entities
under common control. Common Control is defined by US law in 13 CFR 107.50 as “a
condition where two or more persons, either through ownership, management, contract or
otherwise, are under the control of one group or person. Two or more licensees are
presumed to be under common control if they are affiliates of each other by reason of
common ownership or common officers, directors or general partners; or if they are
managed or their investments are significantly directed either by a common independent
investment advisor or managerial contractor, or by two or more such advisors or
contractors that are affiliates of each other.”
IFRS 3 does not have the concept of common control in its scope itself.
Meanwhile, Ind AS 103 acknowledges and gives guidance on what to do regarding
accounting of these assets under common control. It prescribes the pooling of interests
method to account for this type of business combination. The pooling of interests method
is a rather simple one, with the hallmark of it being the usage of book value rather than
fair value. When using the pooling of interests method, the balance sheets of the two
companies are simply added together, line item by line item. When arriving at the
consideration, it is compared to the amount of share capital. Ind AS 103 also has
guidance on what to do when there is an excess or shortfall relative to the amount of
share capital. When the consideration is in excess of the amount of share capital, it is
recorded as goodwill. When the consideration is less than the amount of share capital, it
is treated as a capital reserve.
An additional guideline that Ind AS 103 prescribes for business combinations
under common control is the restatement of previous financial information. It proclaims
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that “financial information in respect of prior period should be restated as if the business
combination has occurred at the beginning of the earliest period presented in the financial
statements, irrespective of the actual date of combination.” IFRS users who are confused
about what to do with common control business combinations typically revert to two
options: either the fair value method that is used for all other business combinations
described in IFRS 3 or the usage of the pooling of interests method, using predecessor
accounting as the setup. Furthermore, any excess consideration received by using the
pooling of interests method in IFRS is not taken to be new goodwill. Any excess or
negative consideration over aggregate book value of the assets and liabilities of the
acquired entity is included either in retained earnings or in a separate reserve. Therefore,
the whole concept of business combinations under common control will have big possible
irreconcilable differences with IFRS should there be any goodwill or additions to capital
reserve recognized.
The second possibly irreconcilable difference in this section arises with regards to
accounting for the gain on a bargain purchase. A bargain purchase is defined as one
where the cost of acquiring a business is lower than the fair value of all that business’
assets and liabilities. In IFRS, any gain arising from such a purchase is immediately
recognized in profit & loss. This is not seen in Ind AS 103, as the literature prescribes
that this gain be recognized in OCI and accumulated in equity as a capital reserve. If
there is no clear evidence indicating that this purchase is indeed a bargain purchase, the
gain is directly recognized as a capital reserve in equity, with no requirements for
recognition in OCI.
When looking at these two differences, it wouldn’t be incorrect to state that the
first difference is more irreconcilable than the second. The second difference is seen in
other instances, such as Ind AS 12 or Ind AS 28, and has the capability to be avoidable.
The first difference is worth searching solutions for. The one instance where there could
be an irreconcilable difference is when there is a big excess of consideration when
compared with the amount of share capital, resulting in a large amount of goodwill
prescribed by adhering to Ind AS. This goodwill, in IFRS, will immediately be kept in
retained earnings or in a separate reserve.
A possible solution is to abolish the concept of common control transactions from
Ind AS literature, indicating that the only possible procedure to follow in such a case
29
would be correlated to what would be done in IFRS. However, the concept of business
transactions of entities under common control is seen in a lot of Indian entities, who
would all prefer to use the pooling of interests method as compared to the fair value
method. Amidst all the massive changes from Indian GAAP to Ind AS, abolishing the
pooling of interests method would not be popular move. In fact, when the FASB
announced that all business combinations should be accounted for using the purchase
method rather than the pooling of interests method on January 23, 2001, the move was
under wide opposition by the business community.
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ADVANTAGES AND DISADVANTAGES OF CONVERGENCE WITH REGARDS
TO INDIAN ECONOMY
It would be profitable to list out the advantages and disadvantages/challenges of convergence
to IFRS when it specifically applies to the Indian economy.
In this section, I take as reference Prashant Shinde’s research paper on the International
Indexed & Referred Research Journal titled “Adoption of IFRS, Challenges for India.” The
following are some advantages seen from converging to IFRS:
• IFRS prevalent as the worldwide accounting standard: In an age where increased
comparability is required, IFRS is recognized as the prevalent worldwide accounting standard
of today. This gained major traction at the turn of the millennium through EU-endorsed IFRS.
Each member of the EU had requirements to use IFRS if it met the criteria. Today, most of
the world’s countries use IFRS.
• Increased comparability: Adoption or convergence of IFRS leads to increased
comparability of financial statements with some of the biggest markets in the
world. Even though the US still uses GAAP, it allows IFRS in its capital markets
because of the volume of its worldwide usage (not to be confused with EUendorsed
IFRS).
• Increased exposure to FDI and FII: Convergence towards IFRS allows investors
from prominent capital markets to make much better-informed decisions
regarding one’s entity. It is always much more advantageous to make a decision
when the format is in something even you use. IFRS also serves as a bridge for
investment companies and possible stakeholders to enter the economy and invest
money into the business environment. There is likely to be high FDI and FII once
the convergence process is done and Ind AS finds its footing. This will, in turn,
result in a long-term effect of reduction in the cost of capital due to investors
making informed decisions.
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• Increased transparency: When compared to Indian GAAP, IFRS contains a lot of
additional disclosures in various areas, adding more transparency to the Indian
business environment. This gives added security to stakeholders and investors,
who are subjected to much more information with Ind AS when compared to
Indian GAAP. Increased transparency also leads to better communication between
the entity’s stakeholders and its management.
• Convergence allows companies more leeway than adoption: Convergence towards
IFRS as opposed to direct adoption allows companies to smooth its financial
statements from the previously used Indian GAAP better. This is at times
favorable to direct adoption, which could be seen as adding heavy volatility due to
the drastic nature of changes in the Indian business environment.
The following contains some disadvantages or challenges seen from convergence
to IFRS, the world’s most prevalent accounting standard:
Disadvantages
• Still unable to achieve complete comparability: Because India is converging to
IFRS as opposed to directly adopting it, the level of acceptability of Ind AS
financial statements will be less in other capital markets seeing as it is not IFRS in
full. If an Indian company wants to place its financial statements on a prominent
international capital market, it will once again have to provide different financial
statements in accordance to IFRS in order to enter and trade. While using Ind AS
is preferable to using Indian GAAP when it comes to switching towards IFRS, it
is still not as better off as direct adoption of IFRS.
• High degree of difference between Indian GAAP and IFRS: When considering
Indian GAAP, the current accounting standard used by India today, the
differences between it and IFRS are widely seen. In particular, topics such as
PP&E accounting, accounting of financial instruments, investment accounting,
business combination, share based payment, presentation of financial statements,
32
etc. are not seen currently under Indian GAAP. Convergence to IFRS could lead
to big changes in the financial statements of Indian entities, something which may
negatively affect the current Indian business environment.
• Use of fair value measurement under IFRS: The act of using a fair value model is
something alien to the Indian accounting environment, currently. Indian GAAP
bans the use of the fair value model due to its volatile nature, affecting key
measures like EPS and other covenant ratios. It would not be advantageous for a
company with various covenants to convergence towards IFRS unless the fair
value model can be introduced in a proper way conducive to the Indian business
environment.
• Wanton changes required: Due to the wide differences between Indian GAAP and
IFRS, convergence towards IFRS will require that training be provided right from
the grassroots level. For entities with covenants or those who are crunched for
cash for these training programs, this will prove to be a big challenge. Seeing as
the new roadmap indicates that next April will be the start of the first Ind AS
accounting period for several companies, time is running out for these entities to
get its staff acclimatized to Ind AS.
• Two-fold requirement for accounting teams: Not only do accountants need to be
well-versed in Ind AS, they must also know the complementing information
technology when it comes to Ind AS.
• Lack of professionals who know IFRS in Indian business environment: Because
of the current usage of Indian GAAP, not many accountants in India are wellversed
in IFRS. This also applies to the accountants of entities who are soon to
change their financial statements to Ind AS, whether it is the next year or the year
after. Therefore, Indian entities soon to convergence may have to depend on
external advisors and auditors during its first few years for proper assimilation to
Ind AS. This could lead to unnecessary expenditures for the entity, extremely
disadvantageous for entities with not enough liquidity or those that have stringent
covenants.
33
• Tax issues: There is several tax issues associated with convergence to IFRS.
Recognition issues should be considered, such as whether the imputed interest on
credit sales would be considered as sales or interest income. So should
classification issues such as whether the payment on redeemable preference
shares or convertibles should be treated as dividend or interest. Point of
recognition issues, such as whether the services contract would be taxed only
upon completion or at the point of accrual, must also be kept in mind.
Furthermore, one must explore whether the tax base will continue to be
determined using Indian GAAP or convergence to IFRS as well. Finally, one must
explore indirect tax impacts as well as transition issues on the tax treatment for
the one-time adjustments on IFRS convergence.
• The most noteworthy disadvantage of IFRS relate to the costs related to the application by
multinational companies which comprise of changing the internal systems to make it
compatible with the new reporting standards, training costs and etc.
The issue of regulating IFRS in all countries, as it will not be possible due to various reasons
beyond IASB or IASC control as they can not enforce the application of IFRS by all
countries of the world.
Issues such as extraordinary loss/gain which are not allowed in the new IFRS still remain an
issue
Another major disadvantage of converting to IFRS makes the IASB the monopolist in terms
of setting the standards. And this will be strengthened if IFRS is adopted by the US
companies. And if there is competition, such IFRS vs. GAAP, there is more chance of having
reliable and useful information that will be produced during the course of competition.
The total cost of transition costs for the US companies will be over $8 billion and one off
transition costs for small and medium sized companies will be in average $420,000, which is
quite a huge amount of money to absorb by companies.
And even though the companies and countries are incurring huge transitional costs, the
benefits of IFRS can not be seen until later point due to the fact that it takes some years for
the harmonization and to have sufficient years of financial statements to be prepared under
IFRS to improve consistency.
They key problem in conversion to IFRS that has stressed with high importance is the use of
fair value as the primary basis of asset and liability measurements. And the interviewers think
that this principle will bring increased volatility as the assets are reported.
34
And another disadvantage of IFRS is that IFRS is quite complex and costly, and if the
adoption of IFRS needed or required by small and medium sized businesses, it will be a big
disadvantage for SMEs as they will be hit by the large transition costs and the level of
complexity of IFRS may not be absorbed by SMEs.
And moreover, one of the aims of European Union from applying and standardizing the
reporting standards was to increase the international comparability of financial statements;
however, only over 7000 listed companied adopted IFRS from 2005, there were still more
than 7000,000 SMEs in EU, which preferred their national version of reporting standards.
This contradicts the aim of the EU and partly of IFRS in implementing single international
reporting standards.
• Need for consistency between all regulatory bodies: In the buildup to Ind AS
convergence, there must be consistent communication amongst all the regulatory
bodies of India to ensure that everything is going according to plan. This includes
the ICAI, SEBI, RBI and IRDA as well as the National Advisory Committee on. Accounting
Standards (NACAS) established by the MCA.
35
CONCLUSION
The overhaul of Indian GAAP into Ind AS promises to bring about positive
changes for the Indian business environment. The current roadmap relating to the
convergence to Ind AS will start taking practical shape next year, where unlisted and
listed companies having a net worth of 500 crores or more will have to undergo
mandatory Ind AS adoption on 1 April, 2016. This assumption has been taken given that
there will be no further delay regarding Ind AS adoption henceforth.
Indian GAAP has faced several criticisms throughout its tenure as India’s
prevailing accounting standard. One severe criticism has been that Indian GAAP refuses
to adhere to IFRS’ prevailing principle of substance over form in several instances. These
instances make Indian GAAP financial statements not reflect the economic reality of the
entity.
Until July 2007, there was no real attempt to try and converge to IFRS, the world’s
prevailing set of accounting standards. The ICAI’s announcement of a convergence plan
in July 2007 set the wheels in motion towards IFRS convergence. While several delays
have occurred in the buildup to adoption of Ind AS, we believe the current roadmap will
be followed to its completion, leading to Ind AS being introduced in practice from 1
April, 2016. Some Indian entities have already responded to these wholesale changes,
with many of their faculty going through training procedures in order to grasp Ind AS.
A precarious issue when discussing Ind AS is the fact that it is a partial
convergence towards IFRS, not a complete one. Several differences, whether avoidable
or potentially irreconcilable, are seen between Ind AS and IFRS. Most differences in the
literatures of the two have to do with Ind AS possessing options to continue some of the
policies used during Indian GAAP. This is done by the ICAI in order to smooth the
transition from Indian GAAP to something resembling a cousin of IFRS (Ind AS).
Immediate convergence to IFRS will lead to several shocks in the financial statements of
an entity, something the ICAI seems to have extrapolated. Many companies have
intimated concern over complete convergence, a possible reason for why Ind AS was
created. One problem that arises with partial convergence is that while Ind AS is held in
36
high regard amongst the Indian government and regulators of Indian business, outsiders
may not understand its proximity to IFRS. To some, investment decisions regarding
Indian entities might be at the same difficulty as it was when Indian GAAP was in the
Indian business climate. Until international investors are well-versed with Ind AS and
how it differs with IFRS, the full advantages of convergence to IFRS cannot be redeemed
as international investor confidence will not have improved.
When assessing all the differences between Ind AS and IFRS, it must be noted
that repeated delays in the convergence process have led to lesser potentially
irreconcilable differences between the two. Most of the differences between the two
currently are either avoidable or textual. Currently, according to me, there remain three
potentially irreconcilable differences that could hinder any plans the Indian government
or its regulatory bodies have of achieving complete convergence between IFRS and Ind
AS one day.
These are seen in these topics: IND AS 19: Employee Benefits, IND AS
32: Financial Instruments – Presentation and IND AS 103: Business Combinations.
Ind AS 19’s potentially irreconcilable difference with IFRS lies in the fact that
India does not possess a deep market for high quality corporate bonds. However, this is a
problem to which there is an easy solution. Corresponding IFRS literature already
intimates that should there not be a deep market for high quality corporate bonds, government
bonds are used as a reference for finding the discount rate for postemployment
benefit obligations. Ind AS 19, in comparison, states in its literature to only
use government bonds on the basis that India does not possess the aforementioned deep
market. This will create problems in the case of Indian subsidiaries based abroad in
countries that do possess these deep markets. A simple change of the literature of Ind AS
19into what IFRS prescribes will go a long way to reconciling this difference, without
trying to change its meaning or function.
Ind AS 32’s potentially irreconcilable difference lies in the fact that IFRS only
recognizes equity in the form of an entity’s functional currency when it comes to FCCBs,
whereas Ind AS allows entities to recognize equity in any currency. The irreconcilable
difference will lie in the fact that these convertible bonds (able to recognize equity in any
currency) will have components that are only liabilities in accordance to IFRS, whereas
there will definitely be an equity component if one is to follow Ind AS. This difference
37
arises because of Ind AS’ insistence to keep some of the principles held by Indian GAAP
in order to smooth the transition between the two. A solution could be to change the
literature towards something similar to IFRS after initial convergence towards Ind AS has
successfully occurred.
Ind AS 103’s potentially irreconcilable difference lies in the fact that IFRS does
not have the concept of business combinations of entities under common control in its
scope, whereas Ind AS does and prescribes the pooling of interests method to account for
them. This difference is potentially the most irreconcilable out of the three for the sole
reason that IFRS has abolished the concept from its scope. In order to achieve complete
convergence with IFRS on this difference, it is likely that business combinations of
entities under common control will have to be taken off from the scope of Ind AS
literature as well.
Overall, the differences between India’s accounting standards and IFRS are sure
to be at an all-time low once Ind AS is introduced into the Indian business environment,
with the roadmap indicating that it should be in the coming year for certain companies
who have been recognized in the mentioned criteria. Ind AS is a good way for Indian
entities to smooth out their earnings from Indian GAAP to something similar to IFRS.
For Ind AS to be successfully instilled in the business environment, hard work as well as
training starting from the grassroots level needs to be done by entities prescribed to be
adhering to these standards soon. First and foremost, there should no further delays
regarding introducing Ind AS to the environment. Once Ind AS has been successfully
implemented in India, there could be discussion on how to mitigate the potentially
irreconcilable differences between Ind AS and IFRS. It is well within the realm of
possibility that one day, India has the capacity and the resources to completely adopt, IFRS in
its business environment.
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Marston, Claire. Financial reporting in India. London : Croom Helm, 1986. Print.
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<http://www.mca.gov.in/Ministry/pdf/CompaniesAct2013.pdf>
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Ministry of Home Affairs. MHA, 2006. Web. 2006.
<http://mha.nic.in/hindi/sites/upload_files/mhahindi/files/pdf/Eighth_Schedule.pdf>
<http://research-methodology.net/advantages-and-disadvantages-of-ifrs-compared-to-gaap/>

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Project Report on IFRS

  • 1. 1 UNIVERSITY OF MUMBAI PROJECT REPORT ON INTERNATIONAL FINANCIAL REPORTING STANDARD BY Mr. OJAS NITIN NARSALE M.COM (Part-I) (SEM-II) (Roll No.40) ACADEMIC YEAR 2015-2016 PROJECT GUIDE PROF. NEETA NERURKAR PARLE TILAK VIDYALAYA ASSOCIATION’S M.L. DAHANUKAR COLLEGE OF COMMERCE DIXIT ROAD, VILE PARLE ( E) MUMBAI- 400057
  • 2. 2 DECLERATION I, Mr. OJAS NITIN NARSALE of PARLE TILAK VIDYALAYA ASSOCIATION’S M.L. DAHANUKAR COLLEGE OF COMMERCE of M.COM(Part-I) (SEM-II) (Roll No.40) hereby declare that I have completed this project on INTERNATIONAL FINANCIAL REPORTING STANDARD in the ACADEMIC YEAR 2015-2016.This information submitted is true and original to the best of my knowledge. (Signature of Student)
  • 3. 3 ACKNOWLEDGEMENT To list who all helped me is difficult because they are so numerous and the depth is so enormous. I would like to acknowledge the following as being idealistic channels and fresh dimensions in the completion of this project. I would firstly thank the University of Mumbai for giving me chance to do this project. I would like to thank my Principal, Dr. Madhavi Pethe for providing the necessary facilities required for completion of this project. I even will like to thank our co-ordinator, for the moral support that I received. I would like to thank our College Library, for providing various books and magazines related to my project. Finally I proudly thank my Parents and Friends for their support throughout the Project.
  • 4. 4 INDEX Sr No Topic Page 1 About Accounting 5 2 Evolution Of IFRS 6 3 India And IFRS 7 4 Convergence of IFRS and decision to adopt IFRS 7 5 Road Map 10 6 Roadmap for the adoption Of IND AS (IFRS) 14 7 Differences between Ind AS and IFRS 16 8 Advantages 30 9 Disadvantages 31 10 Conclusion 35 11 Bibliography 38
  • 5. 5 ABOUT ACCOUNTING The history of accounting or accountancy is thousands of years old and can be traced to ancient civilizations. The early development of accounting dates back to ancient Mesopotamia, and is closely related to developments in writing, counting and money and early auditing systems by the ancient Egyptians and Babylonians. By the time of the Emperor Augustus, the Roman had access to detailed financial information. According to some Indian scriptures, the Indian Chanakya wrote a manuscript similar to a financial management book, during the period of the Mauryan Empire. His book "Arthashasthra" contains few detailed aspects of maintaining books of accounts for a Sovereign State. The Italian Luca Pacioli, recognized as The Father of accounting and bookkeeping was the first person to publish a work on double-entry bookkeeping, and introduced the field in Europe. Accounting began to transition into an organized profession in the nineteenth century, with local professional bodies in England merging to form the Institute of Chartered Accountants in England and Wales in 1880. To develop a broader view of the accounting profession, auditors and accountants need to be aware of both national and international professional standards. However contemporary Western schools of thought on accounting do not acknowledge the historical contributions of non- European cultures. A better-rounded view could be achieved through acknowledging the accomplishments of non-Western cultures in the development of professional practices, particularly the accounting profession. Ancient India is a prime example of a culture whose accounting practices merit more attention due to their complexity and innovation. Looking back at Indian history, one finds that the art and practice of accounting were present in India even in Vedic times The Rig- Veda has references to accounting and commercial terms like kraya (sale), Vanij (merchant), sulka (price).
  • 6. 6 EVOLUTION OF IFRS The term IFRS has both a narrow and a broader meaning. Narrowly, IFRSs refers to the new numbered series of pronouncements that the IASB is issuing, as distinct from the International Accounting Standards (IASs) series issued by its predecessor. More broadly, IFRSs refers to the entire body of IASB pronouncements, including standards and interpretations approved by the IASB and IASs and SIC interpretations approved by the predecessor International Accounting Standards Committee.
  • 7. 7 INDIA AND IFRS On January 18, 2011, the Institute of Chartered Accountants of India (ICAI) announced their intention to converge with IFRS by issuing an exposure draft calling for the release of 35 Ind AS’ (Indian Accounting Standards). After consultation from the Ministry of Corporate Affairs (MCA), the roadmap of convergence began. These standards were designed using the ‘Framework for the Preparation and Presentation of Financial Statements’, prepared by the ICAI, as a reference point. (ICAI, 2011) It is a decision that is sure to benefit India in the future. IFRS adoption is heavily widespread, with around 141 countries permitting or requiring it either completely or in part according to a 2014 study by PwC. With India enjoying high economic growth and added importance as a burgeoning superpower in the world, there is a growing need for adherence to international standards of business. CONVERGENCE OF IFRS AND DECISION TO ADOPT IFRS The convergence to IFRS was going relatively slow in India until the Parliament passed the new Companies Act, requiring the preparation of consolidated financial statements. (MCA, 2014) This has urged the ICAI to make a concrete roadmap, which it recently finalized during its council meetings on March 20-22, 2014. It is important to define the terms harmonization, standardization and convergence. Convergence is the process of bridging gaps between two different entities, in this case being IFRS and the country trying to adopt it.
  • 8. 8 According to Christopher Nobes, harmonization is “a process of increasing the compatibility of accounting practices by setting bounds to their degree of variation”. If everything is completely compatible, a state of harmony is reached. Nobes defines standardization as “working towards a more rigid and narrow set of rules.” (Nobes &Parker, 2010, p. 75) It wouldn’t be erroneous to state that both the terms are similar. IASB, the body that produces IFRS, has worked towards worldwide harmonization of accounting standards since its inception. A cautionary tale regarding the need for a uniform set of accounting standards is the Asian financial crisis in the late 1990s. Investors believed that Thailand would no longer be suitable for foreign investment and took back their money, creating an economic crisis. A contagion effect occurred in countries like Indonesia and South Korea, nations with similar economies to Thailand due to their trade links. (Walker, 1998) Indonesia suffered heavily in the crisis despite having a healthy economy. A universal set of accounting standards could have gone some way to stopping it, as the investors would have made better decisions regarding their money. Today, the general consensus is that there is a need for a uniform set of accounting standards system worldwide. There are various advantages and a few disadvantages to this. For India, acknowledgement of convergence to IFRS will give them access to capital markets that were previously not available to use for them. Stock appraisers and financial analysts from different countries will now be able to analyze Indian firms due to their comparability. Convergence to IFRS gives investors and analysts added confidence to make the right choice when it comes to investment decisions. This, in turn, could result in reducing the cost of capital. Another advantage lies in the fact that India receives a lot of FDI due to the increased prevalence of multinational corporations. India’s status as a growing superpower attracts many MNCs.
  • 9. 9 Comparable financing reporting will be beneficial for both the MNCs involved and India as well. The work of MNC accountants would be much easier if all the countries had similar financial statements. In most cases, MNCs operate in countries using IFRS as a benchmark. Knowing that India has agreed to converge could create interest from more MNCs to set up operations in India. It will also be easier for MNCs to move their financial staff to different countries because of the comparability. Despite an overwhelming gamut of positives resulting from convergence to a universal set of standards, there remain a few disadvantages. IFRS still has not been able to achieve an accord with the United States and their use of GAAP. Indian companies will not be able to access the United States’ vast capital market unless it writes statements that conform directly to IFRS. Another disadvantage is that every country has a specific reason for using financial reporting. Some use it for tax purposes, some for obtaining capital. Complete harmony is hard to achieve due to the individual prerogatives of each country when it comes to their financial reporting. This is one of the reasons why IASC didn’t achieve that much support in the Eastern European countries as well as Japan before it became the IASB. MCA’s roadmap is facing some delays primarily due to tax issues, an example of how it is hard to achieve standardization in every country. There are already various differences between Ind AS and IFRS in order to accommodate India’s economic climate.
  • 10. 10 ROADMAP AND DECISION TO ADOPT IFRS In 2007, the ASB of the ICAI produced a Concept Paper made by their task force and submitted it to the ICAI. The ICAI made a public commitment of convergence to IFRS before 31 December, 2011. This announcement gained traction in the Indian political climate, leading to the government announcing the same commitment of converge by the end of 2011 a year later from the announcement by the ICAI. Even during its inception, the aim of convergence was not to fully conform to IFRS but rather to modify the standards for acclimatization to India’s business environment. Factors such as “the legal and regulatory environment, economic conditions, industry preparedness and practice as well as the removal of some options permitted under IFRS” (ESMA, 2014, p. 8) were implemented to create a sense of compromise between IFRS and the way business is done in India. In February 2011, the MCA released a total of 35 Ind AS’ on their website, with each standard containing an appendix highlighting the differences between it and its counterpart in the IFRS. (There were some standards not included: IFRS 9 – Financial Instruments, IAS 26 – Accounting and Reporting by Retirement Benefit Plans and IAS 41 – Agriculture) What was baffling about the release of these standards at the time was that they were neither notified under the Companies Act of 1956 nor corroborative with tax functions for the government. Following the release of the standards, the ICAI continued to revise or add new standards to the fray. Revision was done through consultation with the NACAS, with additional standards being added whenever the IASB issues more IFRS’. (ICAI, 2011) The initial press release by the MCA while they were in the process of preparing the standards indicated a three-phased roadmap for Indian companies, as deadlines were set for certain companies to conform to Ind AS by April 1st of 2011, 2013 or 2014. The date of conformation was based on a range of criteria applicable to the net worth of a company. Prominent insurance companies in India were slated to conform by 2012, whereas banks in India had to accept these changes either in 2013 or 2014, dependent on the volume and nature of their activities. This proved to be a hasty decision, as the MCA had another press release following the issuance of the standards during February 2011,
  • 11. 11 where they indicated that the earlier deadlines could not be implemented in such a rigid manner. Mostly due to tax-related reasons, the MCA decided to scrap the earlier plan and announced that another roadmap would be provided once the various kinks were sorted. From that time till present, various measures have been undertaken by the Indian government to allow smoother harmonization. 2013 saw the Indian government adopting a new Companies Act in order to facilitate the various new provisions convergence to IFRS required. To resolve issues of tax, the Indian Ministry of Finance drafted Tax Accounting Standards to account for the conflicts between accounting and taxation. The ICAI performed several impact analyses to examine how these standards would change the course of business for large companies as well as SMEs in various sectors. (ESMA, 2014) 2013 saw Prabhakar Kalavacherla, the only Indian member on the board of the IASB, leave the organization after a five year term to join KPMG. There were concerns regarding how this would affect India’s influence in the IASB. It wouldn’t be erroneous to state that India continues to possess importance in the organization despite the departure of Kalavacherla. The fact that India recently hosted the 8th IFRS Regional24 Policy Forum in March 2014 is testament to that. (ESMA, 2014, p. 12) On 11 July 2014, Finance Minister Arun Jaitley proposed the budget to the Indian Parliament, with one of the topics of discussion being convergence of Ind AS and IFRS. Here is an excerpt of his speech: “There is an urgent need to converge the current Indian accounting standards with the International Financial Reporting Standards (IFRS). I propose for adoption of the new Indian Accounting Standards (Ind AS) by the Indian companies from the financial year 2015-16 voluntarily and from the financial year 2016-17 on a mandatory basis. Based on the international consensus, the regulators will separately notify the date of implementation of AS Ind for the Banks, Insurance companies, etc. Standards for the computation of tax would be notified separately.” (India Budget, 2014) The most recent revised roadmap from the ICAI came as a by-product of Jaitley’s words. On 16 February 2015, the MCA set forth new dates of Ind AS applicability for certain companies that qualified. Adoption to the IFRS meant the creation of financial statements. The Companies Act of 2013 decomposes financial statements into five facets:
  • 12. 12 “a balance sheet, a profit or loss account (equivalent to the income statement in the US), cash flow statement, a statement of changes in equity (equivalent to the statement of retained earnings in the US) and any explanatory notes.” (MCA, 2013) The first time adoption date is slated to the accounting period beginning on or after 1 April 2016 for companies with the following criteria: a) Entities listed or in the process of listing on any stock exchange in India or abroad, containing a net worth of Rs. 500 crores or more (equivalent to 80.25 million USD). The New Companies Act of 2013 defines net worth as a formula equivalent to “paid-up share capital + reserves created out of the profits (excludes reserves created out of revaluation of assets, write-back of depreciation and amalgation) + securities premium account – accumulated losses – deferred expenditure – miscellaneous expenditure not written off as per the balance sheet.” b) Unlisted companies having a net worth in excess of Rs. 500 crore c) Holding, subsidiaries, The comparative for these financial statements will start with periods “ending 31 March 2016 or thereafter”. The first instances of these financial statements must be submitted using the Ind AS on financial years ending on 31 March 2017. The MCA set forth additional rules for companies who did not qualify in the criteria described to be required for mandatory Ind AS adoption on 1 April 2016. It set forth mandatory adoption to IFRS exactly a year later than the aforementioned companies (the date being 1 April 2017) for companies which met the following criteria: a) Listed companies having a net worth of less than Rs. 500 crore b) Unlisted companies having a net worth of more than Rs. 250 crore but less than Rs. 500 crore (the latter would conflict with the criteria set forth in the guidelines provided for a year earlier)
  • 13. 13 c) Holding, subsidiaries, joint venture or associated of the companies attested to be in a) or b) The comparative for these financial statements will start with periods “ending 31 March 2017 or thereafter”. The first instances of these financial statements must be submitted using the Ind AS on financial years ending on 31 March 2018. Once these companies start their conformation to Ind AS, they are not allowed to change should they veer away from the criteria that previously mandated them to adopt Ind AS. (Deloitte, 2015, p. 4) The announcement on 16 February, 2015 also announced the concept of voluntary adoption. This is seen as beneficial by many countries who want to promote themselves worldwide. IFRS is seen as the prevalent accounting standard of the world today and Ind AS uses its template and is seen as very similar (though there may be some differences that cannot be reconciled). The MCA announced that companies “may voluntarily adopt Ind AS for financial statements for accounting periods beginning on or after 1 April 2015, with the comparatives for the periods ending on 31 March 2015 or thereafter.” However, similar to the aforementioned companies, this option is irrevocable. Once Ind AS is adopted, it cannot change it for all their subsequent financial statements. Adoption indicates compliance of companies to both its standalone financial statements and consolidated financial statements. An overseas subsidiary, associate, joint venture, etc. of an Indian company is required by the respective parent company to prepare its consolidated statements in Ind AS, even if they are required in other countries to prepare different financial statements. Similarly, an Indian company which happens to be a joint venture, subsidiary, associate, etc. of a foreign company must comply with Ind AS if it meets the criteria mentioned earlier. The rules clearly do not apply for companies not attaining the criteria mentioned above, but they also do not apply to companies whose securities are already listed or are on the process of being listed on SME exchanges (Small and Medium Enterprises). An interesting rule set forth by the ICAI roadmap concerns Indian companies already using IFRS to conduct business. To get into the Indian market, these companies must use Ind AS in their consolidated statements. This rule brings queries over whether there are significant differences between IFRS and Ind AS
  • 14. 14 ROADMAP FOR THE ADOPTION OF IND AS (IFRS) Roadmap drawn-up for implementation of Indian Accounting Standards (Ind AS) converged with International Financial Reporting Standards (IFRS) for Scheduled Commercial Banks (Excluding Rrbs), Insurers/Insurance Companies and Non-Banking Financial Companies (NBFC’s) In pursuance to the Budget Announcement by the Union Finance Minister Shri Arun Jaitley, after consultations with Reserve Bank of India (RBI), Insurance Regulatory and Development Authority(IRDA) and Pension Fund Regulatory and Development Authority (PFRDA), the following roadmap for implementation of Indian Accounting Standards (Ind AS) converged with International Financial Reporting Standards (IFRS) for Scheduled commercial banks (excluding RRBs), insurers/insurance companies and Non-Banking Financial Companies (NBFC’s) has been drawn up: (I.) Scheduled commercial banks (excluding RRBs) and Insurer/Insurance Companies: (a) Scheduled commercial banks (excluding Regional Rural Banks (RRBs), All-India Term- lending Refinancing Institutions (i.e. Exim Bank, NABARD, NHB and SIDBI) and Insurers/Insurance companies would be required to prepare Ind AS based financial statements for accounting periods beginning from April 1, 2018 onwards, with comparatives for the periods ending March 31, 2018 or thereafter. Ind AS would be applicable to both consolidated and individual financial statements. (b) Notwithstanding the roadmap for companies, the holding, subsidiary, joint venture or associate companies of Scheduled commercial banks (excluding RRBs) would be required to prepare Ind AS based financial statements for accounting periods beginning from April 1, 2018 onwards, with comparatives for the periods ending March 31, 2018 or thereafter. (c) Urban Cooperative Banks (UCBs) and Regional Rural Banks (RRBs) shall not be required to apply Ind AS and shall continue to comply with the existing Accounting Standards, for the present.
  • 15. 15 (II.)NBFCs: NBFCs will be required to prepare Ind AS based financial statements in two phases: (a) Under Phase I, the following categories of NBFCs shall be required to prepare Ind AS based financial statements for accounting periods beginning from April 1, 2018 onwards with comparatives for the periods ending March 31, 2018 or thereafter. Ind AS would be applicable to both consolidated and individual financial statements. (i) NBFCs having net worth of Rs.500 crores or more. (ii) Holding, subsidiary, joint venture or associate companies of companies covered under (a)(i) above, other than those companies already covered under the corporate roadmap announced by the Ministry of Corporate Affairs (MCA), Government of India (GoI). (b) Under Phase II, the following categories of NBFCs shall be required to prepare Ind AS based financial statements for accounting periods beginning from April 1, 2019 onwards with comparatives for the periods ending March 31, 2019 or thereafter. Ind AS would be applicable to both consolidated and individual financial statements. (i) NBFCs whose equity and/or debt securities are listed or are in the process of listing on any stock exchange in India or outside India and having net worth less than Rs.500 crores. (ii) NBFCs other than those covered in (a)(i) and (b)(i) above, that are unlisted companies, having net worth of Rs.250 crores or more but less than Rs.500 crores. (iii) Holding, subsidiary, joint venture or associate companies of companies covered under (b) (i) and (b)(ii) above, other than those companies already covered under the corporate roadmap announced by the MCA, GoI. NBFCs having net worth below Rs. 250 Crores and not covered under the above provisions shall continue to apply Accounting Standards specified in Annexure to Companies
  • 16. 16 (Accounting Standards) Rules, 2006. (III.)Scheduled commercial banks (excluding RRBs)/NBFCs/insurance companies/insurers shall apply Indian Accounting Standards (Ind AS) only if they meet the specified criteria, they shall not be allowed to voluntarily adopt Indian Accounting Standards (Ind AS). This, however, does not preclude an insurer/insurance company/NBFC from providing Ind AS compliant financial statement data for the purposes of preparation of consolidated financial statements by its parent/investor, as required by the parent/investor to comply with the existing requirements of law. LIST OF DIFFERENCES BETWEEN IND AS AND IFRS There are currently 39 Ind AS published in tandem by the ICAI and the MCA. To analyze the differences between Ind AS and IFRS, I used the 2015 Deloitte report titled “Indian GAAP, IFRS and Ind AS: A Comparison” and the 2011 PwC report titled “Decoding the differences: Comparison of Ind AS with IFRS.” Types of Differences: The point of this research paper is to headline the big, irreconcilable differences between Ind AS and IFRS so that one could look with added importance to these facets and try to solve them. All quotations in this subsection are taken either from the 2015 Deloitte report titled “Indian GAAP, IFRS and Ind AS: A Comparison” or the 2011 PwC report titled “Decoding the differences: Comparison of Ind AS with IFRS.” It would be advisable at this point to separate the aforementioned differences into various subcategories based on their various degrees of irreconcilability. Therefore, the subcategories are the following: possible irreconcilable differences, repairable differences and textual differences. The difference between repairable differences and textual differences lies in theory and practice: repairable differences involve different business practices between
  • 17. 17 Ind AS and IFRS that can be reconciled without much degree of difficulty, whereas textual differences are those in which contrast can only be found in definitions, formats or types of disclosure. The focus is mostly on the possible irreconcilable differences between Ind AS and IFRS, something explored in the next chapter. These are the possible irreconcilable differences found: • Ind AS 103: Business Combinations in contrast to IFRS 3: Business Combinations • Ind AS 19: Employee Benefits in contrast to IAS 19: Employee Benefits • Ind AS 32: Financial Instruments-Presentation in contrast to IAS 3 Since these three important facets are discussed with heavy detail in the subsequent chapter, it would be advantageous to separate the rest of the differences into repairable and textual. In the case where one standard contains both repairable and textual differences, it is classified in the repairable difference category. The following contains all the repairable differences between Ind AS and IFRS: • Ind AS 1 – Presentation of Financial Statements: The repairable difference in this standard has to do with breaching certain covenants of long-term liabilities and whether it should be a current liability if the lender has not demanded payment as a consequence of the aforementioned breach. It is when the lender agrees after the reporting period but before the approval of financial statements where IFRS and Ind AS differ in their practicality. IFRS continues to classify the liability as current even if the lender has agreed in that time, whereas Ind AS does not. Textual differences include a) differences in terminology; b) recent amendments to IFRS not seen in Ind AS as of yet; c) IFRS conducting an expense analysis based on either nature or function while Ind AS uses only nature; and d) the option of giving single as well as separate statements of profit & loss as well as OCI in IFRS whereas Ind AS only allows for a single income statement containing both.
  • 18. 18 • Ind AS 10 - Events after the Reporting Period: The difference lies in what each set of standards does with lender permission after the reporting period but before the financial statements are due as aforementioned, thus making it practical by nature. • Ind AS 12 – Income Taxes: Due to Ind AS’ practicality-altering ban of the fair value model, one cannot measure investment property with regards to income taxes. Another repairable difference in income taxes is seen in business combinations when the carrying amount of goodwill is zero. According to IFRS, any remaining deferred tax benefit is recognized in profit & loss whereas in Ind AS, it is recognized in OCI and subsequently accumulated either in equity as a capital reserve or recognized directly in capital reserve. • Ind AS 17 – Leases: Property interests in operating leases are recognized in IFRS using the fair value model, not allowed in the Indian accounting environment. Another facet of leases seen as repairable is in lease income from operating leases. IFRS instantly recognizes it on a straight-line basis while Ind AS contains a provision for protection against inflation in which case straight-line basis should not be used. • Ind AS 21 – The Effects of Changes in Foreign Exchange Rates: There are repairable as well as textual differences in this standard when compared to its IFRS counterpart. A repairable difference is that IFRS requires that all gains and losses arising on retranslation of monetary assets and liabilities denominated in a foreign currency to be recognized in profit or loss. “Ind AS adds an option for entities if the entity wants to recognize unrealized exchange differences arising on translation of long-term monetary items denominated in a foreign currency directly in equity, and accumulated as a separate component therein. These differences must be sufficiently transferred to profit & loss over the period of maturity. The option is exercisable when the differences are initially recognized. Once exercised, it is irrevocable and applied for all long term monetary items.” Textual differences in this standard include a) a change in an entity’s functional currency must disclose the fact and reason of change as denoted by IFRS whereas Ind AS adds another disclosure to the mix with the date of change; and b) during
  • 19. 19 the beginning year of convergence to Ind AS, entities are given an option to use the previous year’s policy as per Indian GAAP. • Ind AS 24 – Related Party Disclosures: There is a repairable as well as a textual component to this standard. The repairable difference arising from Ind AS containing an option which eliminates the need for related party disclosures if they conflict with “the confidentiality requirements of statute, a regulator or similar competent authority, on the basis that accounting standards cannot override legal/regulatory requirements.” IFRS requires that disclosures be made in any case. What makes this difference somewhat problematic is the fact that entities can misuse it to their advantage. Also, the term similar competent authority is quite vague and easy to be misrepresented. The textual difference involves the definition of a close member of the family. Ind AS has rigid rules for this, indicating that a brother, father, mother and sister automatically qualify as a close member of the family and are already included. IFRS focuses the criterion onto people who may be expected to influence, or be influenced by, that individual in their dealings with the entity. • Ind AS 28 – Investments in Associates and Joint Ventures: This can be subdivided into one repairable difference and two textual differences. The repairable difference is what IFRS and Ind AS both individually do to any excess of the investor’s share of net fair value of the associate’s identifiable assets and liabilities over the cost of investments. For IFRS, it is included in profit & loss during the same period it occurs in. For Ind AS, it is directly recognized as capital reserve in equity. The two textual differences are a) the absolute need for uniform accounting policies in IFRS whereas in Ind AS, there is a need unless it is impracticable to do so; and b) Ind AS prohibits the use of equity method for investments in subsidiaries, allowing only for the use of cost whereas IFRS gives the entity an option between cost or equity method. • Ind AS 38 – Intangible Assets: Usually, adoption to IFRS means a holistic ceding to its policies and practices. However, Ind AS allows some leeway when it comes to using the same amortization policy of intangible assets related to service
  • 20. 20 concession arrangements when it comes to toll roads as it did in Indian GAAP. It allows the entity to incorporate the same policies used in Indian GAAP during the first new years of Ind AS convergence. This option is not seen in IFRS. • Ind AS 101 – First Time Adoption of Ind AS: There are elements of this already discussed in previous sections, such as what to do with exchange differences arising from translation of long-term foreign currency monetary items, amortization of intangible assets arising from service concession arrangements and zero goodwill from previous business combinations. The major differences seen in this area have to do with the transitional relief, a sort of comfort against the whirlwind of change that is Ind AS. These reliefs allow an entity to continue using some of the policies it did during Indian GAAP for various topics, whether it be lease classification, non-current assets held for sale or discontinued operations, or previous P,P&E carrying values (also includes intangibles as well as investment properties). • Ind AS 110 – Consolidated Financial Statements: The difference in this has to do with investment property measurement, done in IFRS through fair value basis. The fair value model is not yet allowed in Ind AS. • Ind AS 114 – Regulatory Deferral Accounts: Ind AS provides transitional relief to “an entity subject to rate regulation coming into existence after Ind AS coming into force or an entity whose activities become subject to rate regulation subsequent to preparation and presentation of first Ind AS financial statements”, allowing them to use previous Indian GAAP policies. IFRS does not require that an entity adopt this standard. However, once the standard is adopted, one must continue using it for its subsequent financial statements. • Ind AS 115 – Revenue from Contracts with Customers: Variable considerations in the form of penalties are measured in Ind AS as per the substance of the contract. This is something not seen in IFRS. Finally, this section contains all the standards that have only textual differences in its literature and function:
  • 21. 21 • Ind AS 7 – Statement of Cash Flows: Ind AS contains stringent rules on what to do with interest and dividends, something that IFRS gives an entity leeway to, as long as there is consistency between period to period. Ind AS gives different rules for financial entities when compared to others, as interest paid and received as well as dividend received are operating activies. Furthermore, dividend paid is a financing activity. For all other entities in compliance with Ind AS, interest and dividend received are investing activities while interest and dividend paid are financing activities. • Ind AS 20 – Accounting for Government Grants and Disclosure of Governmental Assistance: There are two textual differences seen in this standard. The first one involves what IFRS and Ind AS do with government grants related to assets. IFRS puts them in the statement of financial position either as deducted from the carrying amount of the asset or as deferred income. Ind AS gives only the option of placing it as deferred income. Another difference involves non-monetary government grants. In IFRS, an entity can use either at fair value or nominal amount, whereas in Ind AS, they are classified only at fair value. • Ind AS 27 – Separate Financial Statements: The difference involves accounting for the investments in subsidiaries in separate financial statements of the parent. IFRS either uses the cost method (IFRS 9) or equity method (IAS 28), whereas in Ind AS, an entity is only allowed to use the cost method. • Ind AS 29 – Financial Reporting in Hyperinflationary Economies: The difference involves the various disclosure requirements when the economy is in hyperinflation. IFRS requires that disclosures be made regarding the measuring unit current at the end of the financial period, whether financial statements are based on historical or current cost as well as the identity and level of the price index at the end of the reporting period. In addition to this, Ind AS asks for another disclosure in the form of the total duration of the hyperinflationary situation.
  • 22. 22 • Ind AS 33 – Earnings Per Share: There are three main differences seen in this section. The first involves what entities require EPS. For Ind AS, this involves all entities issuing ordinary shares applicable to the Companies Act. In IFRS, this is applicable to all parents or companies part of a parent: “i) whose ordinary shares or potential ordinary shares are traded in a public market (a domestic or foreign stock exchange or an over-the-counter market, including local and regional markets); or ii) that files, or is in the process of filing, its financial statements with a securities commission or other regulatory organization for the purpose of issuing ordinary shares in a public market.” The difference lies in the stringency.The second difference involves EPS when there are both consolidated and separate financial statements. In IFRS, EPS is only required in the consolidated statements, with a voluntary option in separate statements. In Ind AS, EPS is required to be presented in both. The third difference involves Ind AS and its recognition of income or expenses in the capital reserve account. In the cases where it does this, profit & loss from continuing operations should be adjusted to calculate a correct EPS. This is not seen in IFRS, which immediately dispenses it in profit & loss. • Ind AS 40 – Investment Property: The only difference in this standard involves which technique an entity measures investment property with. IFRS allows an option or either cost or fair value. For Ind AS, the fair value option is not allowed, therefore making investment property only at cost.
  • 23. 23 POSSIBLE IRRECONCILABLE DIFFERENCES Using an analysis of all the differences between Ind AS compared to IFRS, it wouldn’t be erroneous to state that there are three possible irreconcilable differences amongst the two sets of standards. All quotations in this subsection are taken either from the 2015 Deloitte report titled “Indian GAAP, IFRS and Ind AS: A Comparison” or the 2011 PwC report titled “Decoding the differences: Comparison of Ind AS with IFRS.” These three differences are seen in the standards Ind AS 19 – Employee Benefits, Ind AS Financial Instruments: Presentation and Ind AS 103 – Business Combinations. 1: Ind AS 19 – Employee Benefits The possible irreconcilable difference in this topic lies in the usage of the discount rate for post-employment benefit obligations. IAS 19 in IFRS indicates that the discount rate must be computed by referring to market yields on high quality corporate bonds at the end of the reporting period. However, IFRS also acknowledges the fact that some countries do not have deep markets for these bonds. In that case, a replacement is used in the form of government bond yields. It is to be noted that one cannot use government bond yields in IFRS unless there is no deep market for high quality corporate bonds. Ind AS 19 acknowledges that India possesses no such deep market for high quality corporate bonds as such. It explicitly states that there is a requirement to use only the market yield for government bonds to find the discount rate for post-employment benefit obligations. There is no literature from the ICAI or the MCA regarding high quality corporate bonds. It has removed the option of using high quality corporate bonds on the likely reason that India does not possess a deep market for them. However, that reasoning is very archaic when considering the international nature of business today. While the difference is not said to affect solely domestic companies, most companies that are required to adhere to Ind AS soon are unlikely to be solely domestic. Successful Indian companies have succeeded in establishing overseas subsidiaries in countries where there are markets for high quality corporate bonds. These overseas subsidiaries are likely to have defined benefit schemes. If they are in countries that have a deep market for high quality corporate bonds, such as the UK or the US, it will lead to an irreconcilable difference. Those subsidiaries will have to submit financial reports adhered to the country they are operating in as well as to their parent Indian company. This is where the difference will arise.
  • 24. 24 The parent Indian company will ask for the discount rate to be referenced to government bonds, whereas the regulatory bodies of the country they are operating in will likely ask for the discount rate to be referenced to high quality corporate bonds. The difference in amounts will lead to confusion by the subsidiary, as it will then need to show two different calculations when it comes to post-employment benefit obligations. One might argue that this irreconcilable difference can be easily solved should Ind AS change its literature a tad to reflect on the international nature of business. It must realize that companies that are forcefully required to adhere to Ind AS in the next two years are likely to have subsidiaries or operations in countries that possess a deep market for high quality corporate bonds. These companies are likely to have discrepancies when they too come across previously-outlined situations that cause differences. The literature of Ind AS is also neglecting the fact that India could also possess a deep market for high quality corporate bonds in the years to come, especially since India is one of the world’s fastest growing economies. A solution to the ICAI or the MCA would be to reinstate the original language of the corresponding standard in the IFRS onto Ind AS 19. Not only would this provide greater clarity to the situation, it will also limit differences that are likely to appear if the literature is the same as it is now. The current Ind AS 19 literature has several problems to it. Firstly, it ignores India’s prospects of procuring a deep market for high quality corporate bonds in the future. Should India be capable of doing this, the literature will have to go through a change anyways once it does so. High quality corporate bonds provide a much better reference point to the discount rate for post-employment benefit obligations than government bonds. Secondly, it ignores the fact that business is very international in nature today. Should companies adopt Ind AS, there is a high probability that differences will occur if these companies have operations or subsidiaries in countries with deep markets for high quality corporate bonds. While this can be currently classified as a potentially irreconcilable difference, a solution to fixing this is not that hard to formulate or implement. In fact, it wouldn’t be erroneous to state that the proposed solution is better for Ind AS’ future than the current state of rules.
  • 25. 25 2: Ind AS 32 – Financial Instruments: Presentation The possible irreconcilable difference in this section between Ind AS and IFRS arises when it comes to the definition of a financial liability. When it comes to the conversion option embedded in a foreign currency convertible bond (FCCB), IFRS only recognizes equity in the form of the entity’s functional currency. Thus, IFRS users have to fair value this instrument at the end of every reporting period, with differences being accounted for in profit & loss. Ind AS 32 gives more legroom for its entities to maneuver, allowing the FCCB to be classified as an equity instrument “if it entitles the holder to acquire a fixed number of entity’s own equity instruments for a fixed amount of cash, and the exercise price is fixed in any currency.” In the case of Ind AS, there is no specific need to use fair value as a means to re-measure, as IFRS users are required to do. A question must be asked over why the ICAI insisted on these provisions in which these instruments can be exercised in any currency. A prevailing reason is that these provisions were made to prevent income statement volatility that arises from IFRS accounting for “(a) translations of long term monetary items from foreign currency to functional currency (i.e. IAS 21) and (b) equity conversion options in a foreign currency convertible bond denominated in foreign currency to acquire a fixed number of entity’s own equity instruments for a fixed amount in a foreign currency (i.e. IAS 32).” Indian companies are known to issue long-term FCCBs in a currency different from the entity’s functional currency in order to obtain foreign funds at a competitive rate. These instruments contain a relatively simple conversion option, as the number of shares to be issued at a certain fixed foreign currency is indicated in all the literature accompanying it. These FCCBs will cause differences should they be accounted for either in IFRS or in Ind AS. In IFRS, these FCCBs will undergo split accounting due to their convertible nature, meaning that these bonds will be separated into two components and subsequently accounted for in different ways. The pure liability portion of the FCCB is initially measured at fair value, with subsequent measurements to be done in amortized cost. Any foreign exchange translation difference resultant to this has to be recognized in the respective year’s profit & loss account. The conversion feature of this FCCB is treated by IFRS as a derivative liability. It treats it as a liability rather than equity because of its failure to achieve the “fixed-for-fixed condition”, seen in IFRS literature as “a contract
  • 26. 26 that will be settled by the entity (receiving or) delivering a fixed number of its own equity instruments in exchange for a fixed amount of cash or another financial asset is an equity instrument.” The fact that there is exchange rate variation negates this fixed-for-fixed condition, making both portions of the convertible bond different types of liability. Once again, the profit & loss account is used as an offset for any kind of future re-measurement seen in this account as well. It is in the latter component of the accounting described in the paragraph above where differences start to arise between Ind AS and IFRS. Ind AS 21 allows companies an irrevocable option to recognize exchange differences on the translation of long term monetary items (similar to the discussed FCCBs) from foreign currency to functional currency in equity. These amounts in equity will subsequently be transferred to profit & loss throughout the maturation of the FCCBs. This rule proves to be in direct opposition to the guidelines prescribed by IFRS. Under these rules, the component which is seen as a derivative liability by IFRS will be seen as equity under Ind AS. This will prove to have big irreconcilable differences should the entity write its financial statements in both IFRS and Ind AS. Unlike Ind AS 19, there seems to be greater difficulty associated with trying to reconcile this difference and envisioning a common solution. The easiest solution could be to remove the irrevocable option described in Ind AS 21 that allows you to recognize exchange differences on the translation of these instruments from foreign currency to functional currency in equity. However, Ind AS 19 has prescribed this option in order to facilitate a clean transition from Indian GAAP to Ind AS. Many companies will not be happy about the move to Ind AS should the transition cause widespread negative impact for covenants required to be at a certain level for them to obtain external financing. Classifying both convertible portions as liability is certain to negatively impact certain ratios, as there is a marked increase to liability. A possible solution could be to change the literature once companies get a grasp of Ind AS, probably within five or ten years of adopting it. This would give companies more time to try and ponder solutions for this increase in liability. It would also give Indian companies more impetus to adopt Ind AS for the time being, as the current Ind AS literature allows for the policies for long term monetary assets to be the same as they were for Indian GAAP. This makes it easier for companies slated to convert to Ind AS in the next two years to make a quicker transition
  • 27. 27 to these rather new and alien sets of accounting standards. 3: Ind AS 103 – Business Combinations Unlike the previous two standards, Ind AS 103 contains two possible irreconcilable differences in its literature that set it apart from IFRS. The first possible irreconcilable difference arises when accounting for business combinations of entities under common control. Common Control is defined by US law in 13 CFR 107.50 as “a condition where two or more persons, either through ownership, management, contract or otherwise, are under the control of one group or person. Two or more licensees are presumed to be under common control if they are affiliates of each other by reason of common ownership or common officers, directors or general partners; or if they are managed or their investments are significantly directed either by a common independent investment advisor or managerial contractor, or by two or more such advisors or contractors that are affiliates of each other.” IFRS 3 does not have the concept of common control in its scope itself. Meanwhile, Ind AS 103 acknowledges and gives guidance on what to do regarding accounting of these assets under common control. It prescribes the pooling of interests method to account for this type of business combination. The pooling of interests method is a rather simple one, with the hallmark of it being the usage of book value rather than fair value. When using the pooling of interests method, the balance sheets of the two companies are simply added together, line item by line item. When arriving at the consideration, it is compared to the amount of share capital. Ind AS 103 also has guidance on what to do when there is an excess or shortfall relative to the amount of share capital. When the consideration is in excess of the amount of share capital, it is recorded as goodwill. When the consideration is less than the amount of share capital, it is treated as a capital reserve. An additional guideline that Ind AS 103 prescribes for business combinations under common control is the restatement of previous financial information. It proclaims
  • 28. 28 that “financial information in respect of prior period should be restated as if the business combination has occurred at the beginning of the earliest period presented in the financial statements, irrespective of the actual date of combination.” IFRS users who are confused about what to do with common control business combinations typically revert to two options: either the fair value method that is used for all other business combinations described in IFRS 3 or the usage of the pooling of interests method, using predecessor accounting as the setup. Furthermore, any excess consideration received by using the pooling of interests method in IFRS is not taken to be new goodwill. Any excess or negative consideration over aggregate book value of the assets and liabilities of the acquired entity is included either in retained earnings or in a separate reserve. Therefore, the whole concept of business combinations under common control will have big possible irreconcilable differences with IFRS should there be any goodwill or additions to capital reserve recognized. The second possibly irreconcilable difference in this section arises with regards to accounting for the gain on a bargain purchase. A bargain purchase is defined as one where the cost of acquiring a business is lower than the fair value of all that business’ assets and liabilities. In IFRS, any gain arising from such a purchase is immediately recognized in profit & loss. This is not seen in Ind AS 103, as the literature prescribes that this gain be recognized in OCI and accumulated in equity as a capital reserve. If there is no clear evidence indicating that this purchase is indeed a bargain purchase, the gain is directly recognized as a capital reserve in equity, with no requirements for recognition in OCI. When looking at these two differences, it wouldn’t be incorrect to state that the first difference is more irreconcilable than the second. The second difference is seen in other instances, such as Ind AS 12 or Ind AS 28, and has the capability to be avoidable. The first difference is worth searching solutions for. The one instance where there could be an irreconcilable difference is when there is a big excess of consideration when compared with the amount of share capital, resulting in a large amount of goodwill prescribed by adhering to Ind AS. This goodwill, in IFRS, will immediately be kept in retained earnings or in a separate reserve. A possible solution is to abolish the concept of common control transactions from Ind AS literature, indicating that the only possible procedure to follow in such a case
  • 29. 29 would be correlated to what would be done in IFRS. However, the concept of business transactions of entities under common control is seen in a lot of Indian entities, who would all prefer to use the pooling of interests method as compared to the fair value method. Amidst all the massive changes from Indian GAAP to Ind AS, abolishing the pooling of interests method would not be popular move. In fact, when the FASB announced that all business combinations should be accounted for using the purchase method rather than the pooling of interests method on January 23, 2001, the move was under wide opposition by the business community.
  • 30. 30 ADVANTAGES AND DISADVANTAGES OF CONVERGENCE WITH REGARDS TO INDIAN ECONOMY It would be profitable to list out the advantages and disadvantages/challenges of convergence to IFRS when it specifically applies to the Indian economy. In this section, I take as reference Prashant Shinde’s research paper on the International Indexed & Referred Research Journal titled “Adoption of IFRS, Challenges for India.” The following are some advantages seen from converging to IFRS: • IFRS prevalent as the worldwide accounting standard: In an age where increased comparability is required, IFRS is recognized as the prevalent worldwide accounting standard of today. This gained major traction at the turn of the millennium through EU-endorsed IFRS. Each member of the EU had requirements to use IFRS if it met the criteria. Today, most of the world’s countries use IFRS. • Increased comparability: Adoption or convergence of IFRS leads to increased comparability of financial statements with some of the biggest markets in the world. Even though the US still uses GAAP, it allows IFRS in its capital markets because of the volume of its worldwide usage (not to be confused with EUendorsed IFRS). • Increased exposure to FDI and FII: Convergence towards IFRS allows investors from prominent capital markets to make much better-informed decisions regarding one’s entity. It is always much more advantageous to make a decision when the format is in something even you use. IFRS also serves as a bridge for investment companies and possible stakeholders to enter the economy and invest money into the business environment. There is likely to be high FDI and FII once the convergence process is done and Ind AS finds its footing. This will, in turn, result in a long-term effect of reduction in the cost of capital due to investors making informed decisions.
  • 31. 31 • Increased transparency: When compared to Indian GAAP, IFRS contains a lot of additional disclosures in various areas, adding more transparency to the Indian business environment. This gives added security to stakeholders and investors, who are subjected to much more information with Ind AS when compared to Indian GAAP. Increased transparency also leads to better communication between the entity’s stakeholders and its management. • Convergence allows companies more leeway than adoption: Convergence towards IFRS as opposed to direct adoption allows companies to smooth its financial statements from the previously used Indian GAAP better. This is at times favorable to direct adoption, which could be seen as adding heavy volatility due to the drastic nature of changes in the Indian business environment. The following contains some disadvantages or challenges seen from convergence to IFRS, the world’s most prevalent accounting standard: Disadvantages • Still unable to achieve complete comparability: Because India is converging to IFRS as opposed to directly adopting it, the level of acceptability of Ind AS financial statements will be less in other capital markets seeing as it is not IFRS in full. If an Indian company wants to place its financial statements on a prominent international capital market, it will once again have to provide different financial statements in accordance to IFRS in order to enter and trade. While using Ind AS is preferable to using Indian GAAP when it comes to switching towards IFRS, it is still not as better off as direct adoption of IFRS. • High degree of difference between Indian GAAP and IFRS: When considering Indian GAAP, the current accounting standard used by India today, the differences between it and IFRS are widely seen. In particular, topics such as PP&E accounting, accounting of financial instruments, investment accounting, business combination, share based payment, presentation of financial statements,
  • 32. 32 etc. are not seen currently under Indian GAAP. Convergence to IFRS could lead to big changes in the financial statements of Indian entities, something which may negatively affect the current Indian business environment. • Use of fair value measurement under IFRS: The act of using a fair value model is something alien to the Indian accounting environment, currently. Indian GAAP bans the use of the fair value model due to its volatile nature, affecting key measures like EPS and other covenant ratios. It would not be advantageous for a company with various covenants to convergence towards IFRS unless the fair value model can be introduced in a proper way conducive to the Indian business environment. • Wanton changes required: Due to the wide differences between Indian GAAP and IFRS, convergence towards IFRS will require that training be provided right from the grassroots level. For entities with covenants or those who are crunched for cash for these training programs, this will prove to be a big challenge. Seeing as the new roadmap indicates that next April will be the start of the first Ind AS accounting period for several companies, time is running out for these entities to get its staff acclimatized to Ind AS. • Two-fold requirement for accounting teams: Not only do accountants need to be well-versed in Ind AS, they must also know the complementing information technology when it comes to Ind AS. • Lack of professionals who know IFRS in Indian business environment: Because of the current usage of Indian GAAP, not many accountants in India are wellversed in IFRS. This also applies to the accountants of entities who are soon to change their financial statements to Ind AS, whether it is the next year or the year after. Therefore, Indian entities soon to convergence may have to depend on external advisors and auditors during its first few years for proper assimilation to Ind AS. This could lead to unnecessary expenditures for the entity, extremely disadvantageous for entities with not enough liquidity or those that have stringent covenants.
  • 33. 33 • Tax issues: There is several tax issues associated with convergence to IFRS. Recognition issues should be considered, such as whether the imputed interest on credit sales would be considered as sales or interest income. So should classification issues such as whether the payment on redeemable preference shares or convertibles should be treated as dividend or interest. Point of recognition issues, such as whether the services contract would be taxed only upon completion or at the point of accrual, must also be kept in mind. Furthermore, one must explore whether the tax base will continue to be determined using Indian GAAP or convergence to IFRS as well. Finally, one must explore indirect tax impacts as well as transition issues on the tax treatment for the one-time adjustments on IFRS convergence. • The most noteworthy disadvantage of IFRS relate to the costs related to the application by multinational companies which comprise of changing the internal systems to make it compatible with the new reporting standards, training costs and etc. The issue of regulating IFRS in all countries, as it will not be possible due to various reasons beyond IASB or IASC control as they can not enforce the application of IFRS by all countries of the world. Issues such as extraordinary loss/gain which are not allowed in the new IFRS still remain an issue Another major disadvantage of converting to IFRS makes the IASB the monopolist in terms of setting the standards. And this will be strengthened if IFRS is adopted by the US companies. And if there is competition, such IFRS vs. GAAP, there is more chance of having reliable and useful information that will be produced during the course of competition. The total cost of transition costs for the US companies will be over $8 billion and one off transition costs for small and medium sized companies will be in average $420,000, which is quite a huge amount of money to absorb by companies. And even though the companies and countries are incurring huge transitional costs, the benefits of IFRS can not be seen until later point due to the fact that it takes some years for the harmonization and to have sufficient years of financial statements to be prepared under IFRS to improve consistency. They key problem in conversion to IFRS that has stressed with high importance is the use of fair value as the primary basis of asset and liability measurements. And the interviewers think that this principle will bring increased volatility as the assets are reported.
  • 34. 34 And another disadvantage of IFRS is that IFRS is quite complex and costly, and if the adoption of IFRS needed or required by small and medium sized businesses, it will be a big disadvantage for SMEs as they will be hit by the large transition costs and the level of complexity of IFRS may not be absorbed by SMEs. And moreover, one of the aims of European Union from applying and standardizing the reporting standards was to increase the international comparability of financial statements; however, only over 7000 listed companied adopted IFRS from 2005, there were still more than 7000,000 SMEs in EU, which preferred their national version of reporting standards. This contradicts the aim of the EU and partly of IFRS in implementing single international reporting standards. • Need for consistency between all regulatory bodies: In the buildup to Ind AS convergence, there must be consistent communication amongst all the regulatory bodies of India to ensure that everything is going according to plan. This includes the ICAI, SEBI, RBI and IRDA as well as the National Advisory Committee on. Accounting Standards (NACAS) established by the MCA.
  • 35. 35 CONCLUSION The overhaul of Indian GAAP into Ind AS promises to bring about positive changes for the Indian business environment. The current roadmap relating to the convergence to Ind AS will start taking practical shape next year, where unlisted and listed companies having a net worth of 500 crores or more will have to undergo mandatory Ind AS adoption on 1 April, 2016. This assumption has been taken given that there will be no further delay regarding Ind AS adoption henceforth. Indian GAAP has faced several criticisms throughout its tenure as India’s prevailing accounting standard. One severe criticism has been that Indian GAAP refuses to adhere to IFRS’ prevailing principle of substance over form in several instances. These instances make Indian GAAP financial statements not reflect the economic reality of the entity. Until July 2007, there was no real attempt to try and converge to IFRS, the world’s prevailing set of accounting standards. The ICAI’s announcement of a convergence plan in July 2007 set the wheels in motion towards IFRS convergence. While several delays have occurred in the buildup to adoption of Ind AS, we believe the current roadmap will be followed to its completion, leading to Ind AS being introduced in practice from 1 April, 2016. Some Indian entities have already responded to these wholesale changes, with many of their faculty going through training procedures in order to grasp Ind AS. A precarious issue when discussing Ind AS is the fact that it is a partial convergence towards IFRS, not a complete one. Several differences, whether avoidable or potentially irreconcilable, are seen between Ind AS and IFRS. Most differences in the literatures of the two have to do with Ind AS possessing options to continue some of the policies used during Indian GAAP. This is done by the ICAI in order to smooth the transition from Indian GAAP to something resembling a cousin of IFRS (Ind AS). Immediate convergence to IFRS will lead to several shocks in the financial statements of an entity, something the ICAI seems to have extrapolated. Many companies have intimated concern over complete convergence, a possible reason for why Ind AS was created. One problem that arises with partial convergence is that while Ind AS is held in
  • 36. 36 high regard amongst the Indian government and regulators of Indian business, outsiders may not understand its proximity to IFRS. To some, investment decisions regarding Indian entities might be at the same difficulty as it was when Indian GAAP was in the Indian business climate. Until international investors are well-versed with Ind AS and how it differs with IFRS, the full advantages of convergence to IFRS cannot be redeemed as international investor confidence will not have improved. When assessing all the differences between Ind AS and IFRS, it must be noted that repeated delays in the convergence process have led to lesser potentially irreconcilable differences between the two. Most of the differences between the two currently are either avoidable or textual. Currently, according to me, there remain three potentially irreconcilable differences that could hinder any plans the Indian government or its regulatory bodies have of achieving complete convergence between IFRS and Ind AS one day. These are seen in these topics: IND AS 19: Employee Benefits, IND AS 32: Financial Instruments – Presentation and IND AS 103: Business Combinations. Ind AS 19’s potentially irreconcilable difference with IFRS lies in the fact that India does not possess a deep market for high quality corporate bonds. However, this is a problem to which there is an easy solution. Corresponding IFRS literature already intimates that should there not be a deep market for high quality corporate bonds, government bonds are used as a reference for finding the discount rate for postemployment benefit obligations. Ind AS 19, in comparison, states in its literature to only use government bonds on the basis that India does not possess the aforementioned deep market. This will create problems in the case of Indian subsidiaries based abroad in countries that do possess these deep markets. A simple change of the literature of Ind AS 19into what IFRS prescribes will go a long way to reconciling this difference, without trying to change its meaning or function. Ind AS 32’s potentially irreconcilable difference lies in the fact that IFRS only recognizes equity in the form of an entity’s functional currency when it comes to FCCBs, whereas Ind AS allows entities to recognize equity in any currency. The irreconcilable difference will lie in the fact that these convertible bonds (able to recognize equity in any currency) will have components that are only liabilities in accordance to IFRS, whereas there will definitely be an equity component if one is to follow Ind AS. This difference
  • 37. 37 arises because of Ind AS’ insistence to keep some of the principles held by Indian GAAP in order to smooth the transition between the two. A solution could be to change the literature towards something similar to IFRS after initial convergence towards Ind AS has successfully occurred. Ind AS 103’s potentially irreconcilable difference lies in the fact that IFRS does not have the concept of business combinations of entities under common control in its scope, whereas Ind AS does and prescribes the pooling of interests method to account for them. This difference is potentially the most irreconcilable out of the three for the sole reason that IFRS has abolished the concept from its scope. In order to achieve complete convergence with IFRS on this difference, it is likely that business combinations of entities under common control will have to be taken off from the scope of Ind AS literature as well. Overall, the differences between India’s accounting standards and IFRS are sure to be at an all-time low once Ind AS is introduced into the Indian business environment, with the roadmap indicating that it should be in the coming year for certain companies who have been recognized in the mentioned criteria. Ind AS is a good way for Indian entities to smooth out their earnings from Indian GAAP to something similar to IFRS. For Ind AS to be successfully instilled in the business environment, hard work as well as training starting from the grassroots level needs to be done by entities prescribed to be adhering to these standards soon. First and foremost, there should no further delays regarding introducing Ind AS to the environment. Once Ind AS has been successfully implemented in India, there could be discussion on how to mitigate the potentially irreconcilable differences between Ind AS and IFRS. It is well within the realm of possibility that one day, India has the capacity and the resources to completely adopt, IFRS in its business environment.
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