IAS 7 Statement of Cash Flows requires an entity to present a statement of cash flows as an integral part of its primary financial statements. Please spread the word so more students can benefit from our study materials. This is the only statement that is not covered in IAS 1. Increasingly, regulators and other commentators on financial statements are highlighting errors or inconsistencies in application of the standard. Objective. Investing activities 8 4.3. Financing activities 8 4.4. In IAS 7, it only defines what cash equivalent is. OCI following adoption of IFRS 9, equity and debt instruments at FVTOCI, reclassifications, tax, share of equity accounted entities, IAS1, OCI, reclassifications and tax, equity accounted entities, debt and equity instruments at FVTOCI, items that will and will not be reclassified, IAS 1 para 82A, 90, 92, OCI showing different treatment of equity and debt financial assets after IFRS 9 adopted, IAS 1 para 74, debt facility classed as current because of breach of covenant at year end, IAS 1 paras 134, 135, capital management, externally imposed capital requirements and non-compliance, IAS 1 para 73, debt reclassified as current, breach of covenant, grace period following waiver less than 12 months, IAS 1 paras 122, 125, 129, judgements and estimates including sensitivities, IAS 1 para 122, critical judgements, COVID – 19, sensitivities, IAS 1 paras 122, 125, 129, significant estimates and judgements, sensitivities, IAS 1 paras 122.125, separate disclosure of judgements and estimates, including going concern because of change of control provisions, IAS 1, paras 122, 125, 129, judgements and estimates separately identified with sensitivities including COVID – 19, IAS 1 para 25, going concern uncertainty, emphasis in audit report, standard listing on LSE, IAS 1 para 25, going concern uncertainty, note, viability statement, emphasis in audit report, IAS 1 paras 25,122, 125, going concern, material uncertainty, significant judgements and estimates, emphasis in audit report, IAS 1 paras 134,135, capital management including facilities and covenant disclosures, IAS 1 para 25, going concern uncertainty, also viability statement, impairment, emphasis of matter in audit report, COVID – 19 effects, IAS 1 paras 125, 97, key sources of estimation uncertainty, impairment of PPE, RoU assets, inventory and receivables, IAS 1 paras 134/135, capital management disclosures, IAS 1 paras 134, 135, capital management disclosures including covenants and reconciliations, Going concern assessment including COVID – 19 and Brexit scenarios, assumptions and impairment assessment using consistent assumptions, automotive, COVID – 19, summary of effects on judgements and estimates, IAS 1 para 97, separate disclosure of government assistance in relation to COVID – 19, airline, IAS 1, COVID – 19, disclosure of benefits received in form of furlough payments, IAS 1 para 97, disclosure of settlement with UK SFO and other authorities, IAS 1 para 55, vendor finance arrangement disclosure, IAS 1 para 82(ba), disclosure of impairment losses on financial instruments on face of income statement, IAS 37, analysis of provisions, uncertainties, discount rate, current and non-current, IAS 37 paras 84,85 disclosures, timing, sensitivities, policy, judgements, IAS 37 para 92, seriously prejudicial exemption for non-disclosure of certain information on provisions, Warranty provisions, IAS 37 disclosures, estimates, Provisions for dismantling and restoration, disclosure of discount rate and sensitivity, policy, judgements, IAS 37, Policy for onerous purchase contracts, warranties and returns, significant estimates, IAS 37, payment protection insurance and other, estimates and judgements, sensitivities, contingencies, Policy for close down, restoration and environmental clean up, estimates – mining operations, IAS 37, decommissioning, processing and storage provisions, nuclear power generation, sensitivities, Accounting policies for decommissioning and for environmental liabilities, significant estimates and judgements. IAS 1 and IAS 7: Classification of Restricted Cash. 1. AASB 107 and IAS 7 . Disposal group held for sale 76 21.roperty, plant and equipment P 78 22.angible assets and goodwill Int 81 23. IAS 36 para 134 (f) sensitivity analysis, reasonably possible change in assumption would result in impairment, IAS 36 para 134(e), goodwill impairment review, fvlcd, assumptions including margins, IAS 36 goodwill impairment review, VIU basis, oil price and other assumptions, oil company, IAS 36 goodwill impairment review, fvlcd basis, oil price and other assumptions, oil company, IAS 12 para 81(e), tax losses for which no deferred tax asset is recognised and expiry dates, IAS 12 paras 81(a), 81(ab), tax on each component of OCI and tax taken direct to equity, IAS 12 paras 80 (d), 81(d), explanation of effects of changes in tax rates on income, OCI and equity including US rate changes, IAS 12 para 80(d), (81(d), effects of changes in tax rates on income, OCI and equity, US Tax Cuts and Jobs Act, IAS 12 para 81(g)(i)(ii), analysis of deferred tax in balance sheet and income statement charge by category, IAS 12 Para 81(g)(i)(ii), analysis of deferred tax in balance sheet and income statement by category, Policy for current and deferred tax, judgements and estimates in respect of uncertain tax positions, Significant judgements and estimates, uncertain tax positions, IAS 1 paras 122,125, restatement, principal risks, audit committee, Uncertain tax positions, provisions, estimates, principal risks and uncertainties, Uncertain tax positions, policy, estimates, quantification of provisions, IFRIC 23 adopted, Uncertain tax positions, deferred tax, significant judgements, estimates, quantification of amounts, Income tax, risks, uncertain tax positions, transfer tax, contingencies quantified and provisions made, judgements, IFRIC 23 adopted, Approach to tax, principal risks, uncertain tax positions, Brexit, US tax reform, judgements and estimates, Disclosure of franked investment income group litigation order versus UK HMRC, test case, IAS 12 para 81(f), temporary differences in subsidiaries, associates and joint ventures for which no deferred tax provided, Description of tax policies and tax regimes, tax equity liabilities, Reconciliation of opening and closing current tax, additional information, Indefinite lived intangibles, deferred tax, change of policy following IFRIC clarification, Indefinite lived intangibles, deferred tax, change of policy following IFRIC November 2016 decision, IAS 12 para 82, nature of evidence supporting recognition of deferred tax asset where loss made in the current or prior year, Taxation policy, tax borne by country, tax collected, IAS 12 para 82, nature of evidence supporting recognition of deferred tax asset, where losses incurred, IAS 12, para 81(c), tax reconciliation and additional disclosure of profit and loss and taxation by major country, EC decision regarding Belgian tax rulings on excess profits as illegal state aid, provisions, payments and appeals, IAS 12 paras 81(c), 81(g) tax reconciliation and deferred tax balances with detailed explanatory notes, IAS 12, IAS 7 additional information reconciling tax charge to cash tax paid, IAS 12, additional information, segment analysis of tax balances, reconciliations of opening and closing balances, Contingent liability, EU State Aid investigation, group financing exemption, transfer pricing settlement, tax judgements, risks, Change in presentation of interest and penalties on tax positions following IASB Interpretations Committee clarification, IAS 12 para 81(f), potential effect of Brexit on unprovided tax in respect of temporary differences associated with subsidiaries, Reference to potential Brexit implications and EU State Aid investigation into UK controlled foreign companies rules, Uncertain tax positions, judgements, disclosures, EU State Aid investigation and other, reconciliation of current tax liabilities, IFRIC 23 ‘Uncertainty over income tax treatments’ adopted, adjustment to provisions and change in policy, Provision for tax following EU Commission final decision on State Aid and UK Controlled Foreign Company regime. 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