New Zealand changes tax accounting rules for financial instruments

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

New Zealand changes tax accounting rules for financial instruments

fotoflexer-photonzflag.jpg

The tax-related aspects of amendments to New Zealand’s financial reporting rules cover the accounting standard that deals with financial instruments.

In changes to NZ IAS 32 that will take effect on January 1 next year, distributions to holders of an equity instrument shall be recognised by the entity directly and not net of any income tax related benefit. The same change will apply to transaction costs of an equity transaction, which shall be accounted for as a deduction from equity.

The External Reporting Board has added a new paragraph 35A to the standard:

“Income tax relating to distributions to holders of an equity instrument and to transaction costs of an equity transaction shall be accounted for in accordance with NZ IAS 12 Income Taxes [Disclosure of Interests in Other Entities].”

Paragraph 39, which states that the transaction costs accounted for as a deduction from equity in the period is disclosed separately under in accordance with NZ IAS 1, will no longer include the sentence that states that the related amount of income taxes recognised directly in equity is included in the aggregate amount of current and deferred income tax credited or charged to equity that is disclosed under IAS 12 Income Taxes, which requires the disclosure of tax expense or income.

The amendments, part of the Annual Improvements to NZ IFRSs 2009 - 2011 Cycle came about as a result of the publication of the exposure draft of proposed amendments to IFRSs, published in June 2011. They are also reflected in NZ IFRIC [International Financial Reporting Interpretations Committee] 2 Members’ Shares in Co-operative Entities and Similar Instruments.

more across site & shared bottom lb ros

More from across our site

Recent news of job cuts at EY is symptomatic of how the PwC controversy has tarnished the reputation of the entire ‘big four’
Experts reportedly discussed extending the safe harbour to 2027 to give countries more time to legislate; in other news, Baker McKenzie and Greenberg Traurig made senior tax hires
Awards
Submit your nominations to this year's WIBL Americas Awards by January 23
Recent changes in UK tax rules and cross-border requirements are generating high demand for specialist advice, according to MHA
Hany Elnaggar examines how Gulf Cooperation Council countries are internalising transfer pricing norms within evolving fiscal systems shaped by both Islamic and international influences
Where a TP study of comparables produces an arm’s-length range, and the taxpayer’s filed position is outside that range, HMRC will adjust to the median by default
EY, KPMG, Deloitte, and PwC have all seen a decrease in public sector contracts since the scandal – it is understood
Consoli, a tax partner at Brazilian law firm Martinelli Advogados, tells ITR about the importance of staying at the coalface and constantly learning
Despite legislative gridlock, international investors should be wary of legal precedents set by recent court rulings, which could substantially alter the Spanish tax environment
The new outfit, Ashurst Perkins Coie, will bring together around 3,000 lawyers across 23 countries
Gift this article