IFRIC 16 Hedges of a Net Investment in a Foreign Operation
EC staff consolidated version as of 10 March 2010
Last EU endorsed/ amended on 24.03.2010
References
• | IAS 8 Accounting Policies, Changes in Accounting Estimates and Errors | |
• | IAS 21 | The Effects of Changes in Foreign Exchange Rates |
• | IAS 39 | Financial Instruments: Recognition and Measurement |
Background
1Many reporting entities have investments in foreign operations (as defined in IAS 21 paragraph 8). Such foreign operations may be subsidiaries, associates, joint ventures or branches. IAS 21 requires an entity to determine the functional currency of each of its foreign operations as the currency of the primary economic environment of that operation. When translating the results and financial position of a foreign operation into a presentation currency, the entity is required to recognise foreign exchange differences in other comprehensive income until it disposes of the foreign operation.
2Hedge accounting of the foreign currency risk arising from a net investment in a foreign operation will apply only when the net assets of that foreign operation are included in the financial statements.* The item being hedged with respect to the foreign currency risk arising from the net investment in a foreign operation may be an amount of net assets equal to or less than the carrying amount of the net assets of the foreign operation.
3IAS 39 requires the designation of an eligible hedged item and eligible hedging instruments in a hedge accounting relationship. If there is a designated hedging relationship, in the case of a net investment hedge, the gain or loss on the hedging instrument that is determined to be an effective hedge of the net investment is recognised in other comprehensive income and is included with the foreign exchange differences arising on translation of the results and financial position of the foreign operation.
4An entity with many foreign operations may be exposed to a number of foreign currency risks. This Interpretation provides guidance on identifying the foreign currency risks that qualify as a hedged risk in the hedge of a net investment in a foreign operation.
5IAS 39 allows an entity to designate either a derivative or a non-derivative financial instrument (or a combination of derivative and non-derivative financial instruments) as hedging instruments for foreign currency risk. This Interpretation provides guidance on where, within a group, hedging instruments that are hedges of a net investment in a foreign operation can be held to qualify for hedge accounting.
6IAS 21 and IAS 39 require cumulative amounts recognised in other comprehensive income relating to both the foreign exchange differences arising on translation of the results and financial position of the foreign operation and the gain or loss on the hedging instrument that is determined to be an effective hedge of the net investment to be reclassified from equity to profit or loss as a reclassification adjustment when the parent disposes of the foreign operation. This Interpretation provides guidance on how an entity should determine the amounts to be reclassified from equity to profit or loss for both the hedging instrument and the hedged item.
*This will be the case for consolidated financial statements, financial statements in which investments are accounted for using the equity method, financial statements in which venturers’ interests in joint ventures are proportionately consolidated (subject to change as proposed in ED 9 Joint Arrangements published by the International Accounting Standards Board in September 2007) and financial statements that include a branch.
Scope
7This Interpretation applies to an entity that hedges the foreign currency risk arising from its net investments in foreign operations and wishes to qualify for hedge accounting in accordance with IAS 39. For convenience this Interpretation refers to such an entity as a parent entity and to the financial statements in which the net assets of foreign operations are included as consolidated financial statements. All references to a parent entity apply equally to an entity that has a net investment in a foreign operation that is a joint venture, an associate or a branch.
8This Interpretation applies only to hedges of net investments in foreign operations; it should not be applied by analogy to other types of hedge accounting.
Issues
9Investments in foreign operations may be held directly by a parent entity or indirectly by its subsidiary or subsidiaries. The issues addressed in this Interpretation are:
(a)the nature of the hedged risk and the amount of the hedged item for which a hedging relationship may be designated:
(i)whether the parent entity may designate as a hedged risk only the foreign exchange differences arising from a difference between the functional currencies of the parent entity and its foreign operation, or whether it may also designate as the hedged risk the foreign exchange differences arising from the difference between the presentation currency of the parent entity’s consolidated financial statements and the functional currency of the foreign operation;
(ii)if the parent entity holds the foreign operation indirectly, whether the hedged risk may include only the foreign exchange differences arising from differences in functional currencies between the foreign operation and its immediate parent entity, or whether the hedged risk may also include any foreign exchange differences between the functional currency of the foreign operation and any intermediate or ultimate parent entity (ie whether the fact that the net investment in the foreign operation is held through an intermediate parent affects the economic risk to the ultimate parent).
(b)where in a group the hedging instrument can be held:
(i)whether a qualifying hedge accounting relationship can be established only if the entity hedging its net investment is a party to the hedging instrument or whether any entity in the group, regardless of its functional currency, can hold the hedging instrument;
(ii)whether the nature of the hedging instrument (derivative or non-derivative) or the method of consolidation affects the assessment of hedge effectiveness.
(c)what amounts should be reclassified from equity to profit or loss as reclassification adjustments on disposal of the foreign operation:
(i)when a foreign operation that was hedged is disposed of, what amounts from the parent entity’s foreign currency translation reserve in respect of the hedging instrument and in respect of that foreign operation should be reclassified from equity to profit or loss in the parent entity’s consolidated financial statements;
(ii)whether the method of consolidation affects the determination of the amounts to be reclassified from equity to profit or loss.
Consensus
Nature of the hedged risk and amount of the hedged item for which a hedging relationship may be designated
10Hedge accounting may be applied only to the foreign exchange differences arising between the functional currency of the foreign operation and the parent entity’s functional currency.
11In a hedge of the foreign currency risks arising from a net investment in a foreign operation, the hedged item can be an amount of net assets equal to or less than the carrying amount of the net assets of the foreign operation in the consolidated financial statements of the parent entity. The carrying amount of the net assets of a foreign operation that may be designated as the hedged item in the consolidated financial statements of a parent depends on whether any lower level parent of the foreign operation has applied hedge accounting for all or part of the net assets of that foreign operation and that accounting has been maintained in the parent’s consolidated financial statements.
12The hedged risk may be designated as the foreign currency exposure arising between the functional currency of the foreign operation and the functional currency of any parent entity (the immediate, intermediate or ultimate parent entity) of that foreign operation. The fact that the net investment is held through an intermediate parent does not affect the nature of the economic risk arising from the foreign currency exposure to the ultimate parent entity.
13An exposure to foreign currency risk arising from a net investment in a foreign operation may qualify for hedge accounting only once in the consolidated financial statements. Therefore, if the same net assets of a foreign operation are hedged by more than one parent entity within the group (for example, both a direct and an indirect parent entity) for the same risk, only one hedging relationship will qualify for hedge accounting in the consolidated financial statements of the ultimate parent. A hedging relationship designated by one parent entity in its consolidated financial statements need not be maintained by another higher level parent entity. However, if it is not maintained by the higher level parent entity, the hedge accounting applied by the lower level parent must be reversed before the higher level parent’s hedge accounting is recognised.
Where the hedging instrument can be held
14A derivative or a non-derivative instrument (or a combination of derivative and non-derivative instruments) may be designated as a hedging instrument in a hedge of a net investment in a foreign operation. The hedging instrument(s) may be held by any entity or entities within the group, as long as the designation, documentation and effectiveness requirements of IAS 39 paragraph 88 that relate to a net investment hedge are satisfied. In particular, the hedging strategy of the group should be clearly documented because of the possibility of different designations at different levels of the group.
15For the purpose of assessing effectiveness, the change in value of the hedging instrument in respect of foreign exchange risk is computed by reference to the functional currency of the parent entity against whose functional currency the hedged risk is measured, in accordance with the hedge accounting documentation. Depending on where the hedging instrument is held, in the absence of hedge accounting the total change in value might be recognised in profit or loss, in other comprehensive income, or both. However, the assessment of effectiveness is not affected by whether the change in value of the hedging instrument is recognised in profit or loss or in other comprehensive income. As part of the application of hedge accounting, the total effective portion of the change is included in other comprehensive income. The assessment of effectiveness is not affected by whether the hedging instrument is a derivative or a non- derivative instrument or by the method of consolidation.
Disposal of a hedged foreign operation
16When a foreign operation that was hedged is disposed of, the amount reclassified to profit or loss as a reclassification adjustment from the foreign currency translation reserve in the consolidated financial statements of the parent in respect of the hedging instrument is the amount that IAS 39 paragraph 102 requires to be identified. That amount is the cumulative gain or loss on the hedging instrument that was determined to be an effective hedge.
17The amount reclassified to profit or loss from the foreign currency translation reserve in the consolidated financial statements of a parent in respect of the net investment in that foreign operation in accordance with IAS 21 paragraph 48 is the amount included in that parent’s foreign currency translation reserve in respect of that foreign operation. In the ultimate parent’s consolidated financial statements, the aggregate net amount recognised in the foreign currency translation reserve in respect of all foreign operations is not affected by the consolidation method. However, whether the ultimate parent uses the direct or thestep-by-step method of consolidation* may affect the amount included in its foreign currency translation reserve in respect of an individual foreign operation. The use of the step-by-step method of consolidation may result in the reclassification to profit or loss of an amount different from that used to determine hedge effectiveness. This difference may be eliminated by determining the amount relating to that foreign operation that would have arisen if the direct method of consolidation had been used. Making this adjustment is not required by IAS 21. However, it is an accounting policy choice that should be followed consistently for all net investments.
Effective date
18An entity shall apply this Interpretation for annual periods beginning on or after 1 October 2008. An entity shall apply the amendment to paragraph 14 made by Improvements to IFRSs issued in April 2009 for annual periods beginning on or after 1 July 2009. Earlier application of both is permitted. If an entity applies this Interpretation for a period beginning before 1 October 2008, or the amendment to paragraph 14 before 1 July 2009, it shall disclose that fact.
Transition
19IAS 8 specifies how an entity applies a change in accounting policy resulting from the initial application of an Interpretation. An entity is not required to comply with those requirements when first applying the Interpretation. If an entity had designated a hedging instrument as a hedge of a net investment but the hedge does not meet the conditions for hedge accounting in this Interpretation, the entity shall apply IAS 39 to discontinue that hedge accounting prospectively.
* The direct method is the method of consolidation in which the financial statements of the foreign operation are translated directly into the functional currency of the ultimate parent. The step-by-step method is the method of consolidation in which the financial statements of the foreign operation are first translated into the functional currency of any intermediate parent(s) and then translated into the functional currency of the ultimate parent (or the presentation currency if different).
Appendix
Application guidance
This appendix is an integral part of the Interpretation.
AG1 This appendix illustrates the application of the Interpretation using the corporate structure illustrated below. In all cases the hedging relationships described would be tested for effectiveness in accordance with IAS 39, although this testing is not discussed in this appendix. Parent, being the ultimate parent entity, presents its consolidated financial statements in its functional currency of euro (EUR). Each of the subsidiaries is wholly owned. Parent’s £500 million net investment in Subsidiary B (functional currency pounds sterling (GBP)) includes the £159 million equivalent of Subsidiary B’s US$300 million net investment in Subsidiary C (functional currency US dollars (USD)). In other words, Subsidiary B’s net assets other than its investment in Subsidiary C are £341 million.
Nature of hedged risk for which a hedging relationship may be | ||||||||||||
designated (paragraphs 10–13) | ||||||||||||
AG2 | Parent can hedge its net investment in each of Subsidiaries A, B and C for the foreign exchange risk between | |||||||||||
their respective functional currencies (Japanese yen (JPY), pounds sterling and US dollars) and euro. In | ||||||||||||
addition, Parent can hedge the USD/GBP foreign exchange risk between the functional currencies of | ||||||||||||
Subsidiary B and Subsidiary C. In its consolidated financial statements, Subsidiary B can hedge its net | ||||||||||||
investment in Subsidiary C for the foreign exchange risk between their functional currencies of US dollars | ||||||||||||
and pounds sterling. In the following examples the designated risk is the spot foreign exchange risk because | ||||||||||||
the hedging instruments are not derivatives. If the hedging instruments were forward contracts, Parent could | ||||||||||||
designate the forward foreign exchange risk. | ||||||||||||
Parent | ||||||||||||
Functional currency EUR | ||||||||||||
¥400,000 | £500 million | |||||||||||
Subsidiary A | Subsidiary B | |||||||||||
Functional currency JPY | Functional currency GBP | |||||||||||
US$300 million | ||||||||||||
(£159 million equivalent) | ||||||||||||
Subsidiary C | ||||||||||||
Functional currency USD | ||||||||||||
Amount of hedged item for which a hedging relationship may be designated (paragraphs 10–13)
AG3 Parent wishes to hedge the foreign exchange risk from its net investment in Subsidiary C. Assume that Subsidiary A has an external borrowing of US$300 million. The net assets of Subsidiary A at the start of the reporting period are ¥400,000 million including the proceeds of the external borrowing of US$300 million.
AG4 | The hedged item can be an amount of net assets equal to or less than the carrying amount of Parent’s net | ||
investment in Subsidiary C (US$300 million) in its consolidated financial statements. In its consolidated | |||
financial statements Parent can designate the US$300 million external borrowing in Subsidiary A as a hedge | |||
of the EUR/USD spot foreign exchange risk associated with its net investment in the US$300 million net | |||
assets of Subsidiary C. In this case, both the EUR/USD foreign exchange difference on the US$300 million | |||
external borrowing in Subsidiary A and the EUR/USD foreign exchange difference on the US$300 million | |||
net investment in Subsidiary C are included in the foreign currency translation reserve in Parent’s | |||
consolidated financial statements after the application of hedge accounting. | |||
AG5 | In the absence of hedge accounting, the total USD/EUR foreign exchange difference on the US$300 million | ||
external borrowing in Subsidiary A would be recognised in Parent’s consolidated financial statements as | |||
follows: | |||
• | USD/JPY spot foreign exchange rate change, translated to euro, in profit or loss, and | ||
• | JPY/EUR spot foreign exchange rate change in other comprehensive income. |
Instead of the designation in paragraph AG4, in its consolidated financial statements Parent can designate the US$300 million external borrowing in Subsidiary A as a hedge of the GBP/USD spot foreign exchange risk between Subsidiary C and Subsidiary B. In this case, the total USD/EUR foreign exchange difference on the US$300 million external borrowing in Subsidiary A would instead be recognised in Parent’s consolidated financial statements as follows:
• the GBP/USD spot foreign exchange rate change in the foreign currency translation reserve relating to Subsidiary C,
•GBP/JPY spot foreign exchange rate change, translated to euro, in profit or loss, and
•JPY/EUR spot foreign exchange rate change in other comprehensive income.
AG6 Parent cannot designate the US$300 million external borrowing in Subsidiary A as a hedge of both the EUR/USD spot foreign exchange risk and the GBP/USD spot foreign exchange risk in its consolidated financial statements. A single hedging instrument can hedge the same designated risk only once. Subsidiary B cannot apply hedge accounting in its consolidated financial statements because the hedging instrument is held outside the group comprising Subsidiary B and Subsidiary C.
Where in a group can the hedging instrument be held (paragraphs 14 and 15)?
AG7 As noted in paragraph AG5, the total change in value in respect of foreign exchange risk of the US$300 million external borrowing in Subsidiary A would be recorded in both profit or loss (USD/JPY spot risk) and other comprehensive income (EUR/JPY spot risk) in Parent’s consolidated financial statements in the absence of hedge accounting. Both amounts are included for the purpose of assessing the effectiveness of the hedge designated in paragraph AG4 because the change in value of both the hedging instrument and the hedged item are computed by reference to the euro functional currency of Parent against the US dollar functional currency of Subsidiary C, in accordance with the hedge documentation. The method of consolidation (ie direct method or step-by-step method) does not affect the assessment of the effectiveness of the hedge.
Amounts reclassified to profit or loss on disposal of a foreign operation (paragraphs 16 and 17)
AG8 When Subsidiary C is disposed of, the amounts reclassified to profit or loss in Parent’s consolidated financial statements from its foreign currency translation reserve (FCTR) are:
(a)in respect of the US$300 million external borrowing of Subsidiary A, the amount that IAS 39 requires to be identified, ie the total change in value in respect of foreign exchange risk that was recognised in other comprehensive income as the effective portion of the hedge; and
(b)in respect of the US$300 million net investment in Subsidiary C, the amount determined by the entity’s consolidation method. If Parent uses the direct method, its FCTR in respect of Subsidiary C will be determined directly by the EUR/USD foreign exchange rate. If Parent uses the step-by- step method, its FCTR in respect of Subsidiary C will be determined by the FCTR recognised by Subsidiary B reflecting the GBP/USD foreign exchange rate, translated to Parent’s functional currency using the EUR/GBP foreign exchange rate. Parent’s use of the step-by-step method of consolidation in prior periods does not require it to or preclude it from determining the amount of FCTR to be reclassified when it disposes of Subsidiary C to be the amount that it would have recognised if it had always used the direct method, depending on its accounting policy.
Hedging more than one foreign operation (paragraphs 11, 13 and 15)
AG9 The following examples illustrate that in the consolidated financial statements of Parent, the risk that can be hedged is always the risk between its functional currency (euro) and the functional currencies of Subsidiaries B and C. No matter how the hedges are designated, the maximum amounts that can be effective hedges to be included in the foreign currency translation reserve in Parent’s consolidated financial statements when both foreign operations are hedged are US$300 million for EUR/USD risk and £341 million for EUR/GBP risk. Other changes in value due to changes in foreign exchange rates are included in Parent’s consolidated profit or loss. Of course, it would be possible for Parent to designate US$300 million only for changes in the USD/GBP spot foreign exchange rate or £500 million only for changes in the GBP/EUR spot foreign exchange rate.
Parent holds both USD and GBP hedging instruments
AG10 Parent may wish to hedge the foreign exchange risk in relation to its net investment in Subsidiary B as well as that in relation to Subsidiary C. Assume that Parent holds suitable hedging instruments denominated in US dollars and pounds sterling that it could designate as hedges of its net investments in Subsidiary B and Subsidiary C. The designations Parent can make in its consolidated financial statements include, but are not limited to, the following:
(a) US$300 million hedging instrument designated as a hedge of the US$300 million of net investment in Subsidiary C with the risk being the spot foreign exchange exposure (EUR/USD) between Parent and Subsidiary C and up to £341 million hedging instrument designated as a hedge of £341 million of the net investment in Subsidiary B with the risk being the spot foreign exchange exposure (EUR/GBP) between Parent and Subsidiary B.
(b) US$300 million hedging instrument designated as a hedge of the US$300 million of net investment in Subsidiary C with the risk being the spot foreign exchange exposure (GBP/USD) between Subsidiary B and Subsidiary C and up to £500 million hedging instrument designated as a hedge of £500 million of the net investment in Subsidiary B with the risk being the spot foreign exchange exposure (EUR/GBP) between Parent and Subsidiary B.
AG11 The EUR/USD risk from Parent’s net investment in Subsidiary C is a different risk from the EUR/GBP risk from Parent’s net investment in Subsidiary B. However, in the case described in paragraph AG10(a), by its designation of the USD hedging instrument it holds, Parent has already fully hedged the EUR/USD risk from its net investment in Subsidiary C. If Parent also designated a GBP instrument it holds as a hedge of its £500 million net investment in Subsidiary B, £159 million of that net investment, representing the GBP equivalent of its USD net investment in Subsidiary C, would be hedged twice for GBP/EUR risk in Parent’s consolidated financial statements.
AG12 In the case described in paragraph AG10(b), if Parent designates the hedged risk as the spot foreign exchange exposure (GBP/USD) between Subsidiary B and Subsidiary C, only the GBP/USD part of the change in the value of its US$300 million hedging instrument is included in Parent’s foreign currency translation reserve relating to Subsidiary C. The remainder of the change (equivalent to the GBP/EUR change on £159 million) is included in Parent’s consolidated profit or loss, as in paragraph AG5. Because the designation of the USD/GBP risk between Subsidiaries B and C does not include the GBP/EUR risk, Parent is also able to designate up to £500 million of its net investment in Subsidiary B with the risk being the spot foreign exchange exposure (GBP/EUR) between Parent and Subsidiary B.
Subsidiary B holds the USD hedging instrument | ||
AG13 | Assume that Subsidiary B holds US$300 million of external debt the proceeds of which were transferred to | |
Parent by an inter-company loan denominated in pounds sterling. Because both its assets and liabilities | ||
increased by £159 million, Subsidiary B’s net assets are unchanged. Subsidiary B could designate the | ||
external debt as a hedge of the GBP/USD risk of its net investment in Subsidiary C in its consolidated | ||
financial statements. Parent could maintain Subsidiary B’s designation of that hedging instrument as a hedge | ||
of its US$300 million net investment in Subsidiary C for the GBP/USD risk (see paragraph 13) and Parent | ||
could designate the GBP hedging instrument it holds as a hedge of its entire £500 million net investment in | ||
Subsidiary B. The first hedge, designated by Subsidiary B, would be assessed by reference to Subsidiary B’s | ||
functional currency (pounds sterling) and the second hedge, designated by Parent, would be assessed by | ||
reference to Parent’s functional currency (euro). In this case, only the GBP/USD risk from Parent’s net | ||
investment in Subsidiary C has been hedged in Parent’s consolidated financial statements by the USD | ||
hedging instrument, not the entire EUR/USD risk. Therefore, the entire EUR/GBP risk from Parent’s £500 | ||
million net investment in Subsidiary B may be hedged in the consolidated financial statements of Parent. | ||
AG14 | However, the accounting for Parent’s £159 million loan payable to Subsidiary B must also be considered. If | |
Parent’s loan payable is not considered part of its net investment in Subsidiary B because it does not satisfy | ||
the conditions in IAS 21 paragraph 15, the GBP/EUR foreign exchange difference arising on translating it | ||
would be included in Parent’s consolidated profit or loss. If the £159 million loan payable to Subsidiary B is | ||
considered part of Parent’s net investment, that net investment would be only £341 million and the amount | ||
Parent could designate as the hedged item for GBP/EUR risk would be reduced from £500 million to £341 | ||
million accordingly. | ||
AG15 | If Parent reversed the hedging relationship designated by Subsidiary B, Parent could designate the US$300 | |
million external borrowing held by Subsidiary B as a hedge of its US$300 million net investment in | ||
Subsidiary C for the EUR/USD risk and designate the GBP hedging instrument it holds itself as a hedge of | ||
only up to £341 million of the net investment in Subsidiary B. In this case the effectiveness of both hedges | ||
would be computed by reference to Parent’s functional currency (euro). Consequently, both the USD/GBP | ||
change in value of the external borrowing held by Subsidiary B and the GBP/EUR change in value of | ||
Parent’s loan payable to Subsidiary B (equivalent to USD/EUR in total) would be included in the foreign | ||
currency translation reserve in Parent’s consolidated financial statements. Because Parent has already fully | ||
hedged the EUR/USD risk from its net investment in Subsidiary C, it can hedge only up to £341 million for | ||
the EUR/GBP risk of its net investment in Subsidiary B. |