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IAS 16 Depreciation Audit Working Paper Template — free PDF
Practical audit guide covering all four depreciation methods with worked examples, component depreciation checklist, change-in-estimate documentation template, and useful life benchmarks by asset class.
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IAS 16 Depreciation in United Kingdom — IAS 16 (UK-adopted international accounting standards)
The United Kingdom adopted IAS 16 as part of UK-adopted international accounting standards following Brexit. UK-adopted IAS 16 is substantively identical to IASB-issued IAS 16 with no UK-specific modifications. UK entities reporting under FRS 102 (The Financial Reporting Standard applicable in the UK and Republic of Ireland) follow Section 17 Property, Plant and Equipment, which is broadly consistent with IAS 16 but with certain simplifications. Listed companies and their consolidated groups apply IAS 16 directly.
Regulatory Context — Financial Reporting Council (FRC)
The FRC has issued thematic reviews on PP&E accounting, identifying common deficiencies including: inadequate disclosure of depreciation methods and useful lives, insufficient evidence of annual review of residual values and useful lives (IAS 16.51), failure to apply component depreciation to material property assets, and generic rather than entity-specific accounting policy disclosures. The FRC's Financial Reporting Lab has emphasised the importance of clear, entity-specific disclosure of the judgments and estimates underlying depreciation calculations.
Practical Guidance for United Kingdom
For UK entities, the most significant practical consideration is the complete separation between accounting depreciation (IAS 16) and tax depreciation (capital allowances). HMRC does not accept accounting depreciation as a deductible expense — instead, capital allowances are claimed under the Capital Allowances Act 2001. The current rates include: Annual Investment Allowance (AIA) of £1,000,000 (100% first-year deduction for qualifying plant and machinery), 18% writing down allowance (WDA) for the main rate pool, 6% WDA for the special rate pool (integral features, long-life assets), and structures and buildings allowance (SBA) of 3% straight-line over 33.33 years. This means UK entities maintain two parallel depreciation schedules: one for financial reporting (IAS 16) and one for tax purposes (capital allowances).
Audit Expectations
The FRC's Audit Quality Review (AQR) team has identified PP&E depreciation as an area where audit quality could be improved. Common findings include: insufficient challenge of management's useful life and residual value estimates, lack of corroborating evidence for annual review of estimates (IAS 16.51), inadequate assessment of whether component depreciation is required for material property assets, and insufficient evaluation of impairment indicators for underperforming assets. Auditors are expected to assess the reasonableness of depreciation estimates against observable market data, entity-specific replacement patterns, and industry benchmarks.
United Kingdom-Specific Considerations
UK-specific considerations include the interaction between IAS 16 and the Companies Act 2006, which requires all fixed assets with a limited useful economic life to be depreciated. The Companies Act does not specify methods or rates, deferring to the applicable accounting framework (IAS 16 or FRS 102). For investment property, UK entities applying IAS 16 must distinguish between investment property (IAS 40 — fair value model available) and owner-occupied property (IAS 16 — depreciation required). UK business rates (a local property tax) are a separate consideration that does not affect depreciation calculations but may be relevant for impairment testing of commercial property.
Common Inspection Findings
Insufficient challenge of management's useful life and residual value estimates — accepted without corroborating evidence
Component depreciation not applied to material property assets where components have significantly different useful lives
Annual review of estimates (IAS 16.51) not evidenced in audit files — no documentation of engagement with management
Impairment indicators for PP&E not systematically assessed at year-end
Depreciation policy disclosures are generic and not entity-specific