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31/03/2021 - EFRAG has finalised its due process around IFRS 17 and has submitted its Final Endorsement Advice on IFRS 17 Insurance Contracts including the June 2020 Amendments to the European Commission

EFRAG has finalised its due process around IFRS 17 and submitted its Final Endorsement Advice on IFRS 17 Insurance Contracts including the June 2020 Amendments to the European Commission. The Final Endorsement Advice includes the assessment of IFRS 17 against the ‘True and Fair View’-criteria and the assessment of whether IFRS 17 is conducive to the European public good. 


​EFRAG has submitted a final endorsement advice {‘FEA’) letter relating to the endorsement for use in the EU of IFRS 17 Insurance Contracts including the June 2020 Amendments ('IFRS 17' or 'the Standard') to the European Commission.

IFRS 17 establishes principles for the r​ecognition, measurement, presentation and disclosure of insurance contracts within the scope of the Standard. The objective of IFRS 17 is to ensure that an entity provides relevant information that faithfully represents those contracts.

 
IFRS 17 shall be applied for annual reporting periods on or after 1 January 2023. If an entity applies IFRS 17 earlier, it shall disclose that fact. Early application is permitted for entities that apply IFRS 9 Financial Instruments on or before the date of initial application of IFRS 17.

 
EFRAG's overall final assessment is reported below:
The EFRAG Board has concluded on a consensus basis that, apart from the requirement to apply annual cohorts to intergenerationally-mutualised and cash-flow matched contracts, all the other requirements of IFRS 17, on balance (i) meet the qualitative characteristics of relevance, reliability, comparability and understandability required to support economic decisions and the assessment of stewardship, raise no issues regarding prudent accounting, and that they are not contrary to the true and fair view principle; and (ii) are conducive to the European public good;
Solely with reference to the requireme​nt to apply annual cohorts to intergenerationally-mutualised and cash-flow matched contracts, EFRAG Board members do not have a consensus. Seven EFRAG Board members believe that the annual cohorts requirement meets the endorsement criteria, whereas seven EFRAG Board members believe it does not and two EFRAG Board members abstained.

 
The final endorsement advice provides conclusions on a number of specific issues that the European Commission and/or the European Parliament considered in their request for endorsement of IFRS 17.

 
EFRAG's final endorsement advice package consists of the following:
1. Cover Letter;
2. Appendix I (description of the requirements in IFRS 17);
3. Appendix II (FEA assessment and conclusion about the qualitative technical characteristics of all the other requirements in IFRS 17 - apart from the requirement covered in Annex 1);
​4. Appendix III (FEA assessment and conclusion about European Public Good on all the other requirements in IFRS 17 - apart from the requirement covered in Annex 1); and
5. ​Annex 1 (observations about the use of annual cohorts to intergenerationally mutualised and cash-flow matched contracts that are relevant for the FEA assessment of topics usually presented in Appendices II and III).

 
As background to the final endorsement advice package, supporting documents can be found on EFRAG's website here​.

 
For your information, EFRAG has also updated its Endorsement Status Report, which is available here​.