Firstly, the IAS adopted a narrower interpretation than previously. Specifically, the classification of liabilities as current or non-current should be based on rights that are in existence at the end of the reporting period. Previously the standard refers to the term “unconditional” rights to defer settlement. “Unconditional” has been removed, as the rights to defer settlement are rarely unconditional. In place of “unconditional” the standard has been changed to “right at the end of the reporting period”.
Secondly, the classification of liabilities is based on the right to defer settlement and not the intention of the entity. The predecessor standards included consideration of the intent of the Board and management in determining whether an amount would be classified as current rather than non-current. For the avoidance of doubt, classification under the new standard is unaffected by expectations about whether an entity will exercise its right to defer settlement of a liability.
Thirdly, the standard clarifies that settlement refers to, the transfer to the counterparty of cash, equity instruments, other assets or services.
The IASB has recognized that in some situations, liability may become repayable within 12 months of the reporting date. However they cannot know for certain when this will happen and as such, it is impossible to calculate how much risk would be mitigated by delaying repayment until after year-end—henceforth referred an ‘impossible period’ because there isn’t enough information available at initial estimates during calendar years.
The new standard recognizes three cases where entities could have either potential or likely exposure: i) Where extant contracts provide for early settlement; ii), Where nonperformance events arise which give rise potentially extending beyond one year from report date (e..g., applicable interest rates increasing more than expected);