13.11.2017
Under Malaysian company law, it is mandatory for private companies to appoint an auditor to audit the financial statements in each financial year. However, section 267 (2) of the Companies Act 2016 (“CA 2016”), which came into force in January 2017, provides that the Registrar of the Companies Commission of Malaysia (“CCM”) may exempt private companies from having to appoint an auditor in a financial year (audit exemption) if they meet certain conditions.
Under Malaysian company law, it is mandatory for private companies to appoint an auditor to audit the financial statements in each financial year. However, section 267 (2) of the Companies Act 2016 (“CA 2016”), which came into force in January 2017, provides that the Registrar of the Companies Commission of Malaysia (“CCM”) may exempt private companies from having to appoint an auditor in a financial year (audit exemption) if they meet certain conditions.
Under Malaysian company law, it is mandatory for private companies to appoint an auditor to audit the financial statements in each financial year. However, section 267 (2) of the Companies Act 2016 (“CA 2016”), which came into force in January 2017, provides that the Registrar of the Companies Commission of Malaysia (“CCM”) may exempt private companies from having to appoint an auditor in a financial year (audit exemption) if they meet certain conditions.
On 4 August 2017, the CCM issued a Practice Directive (no. 3/2017) setting out the qualifying criteria for an audit exemption.
The three following categories of companies, provided they meet the requirements applicable for each category, are qualified for an audit exemption:
A company will be considered ‘dormant’ if it does not carry out any activity and if there is no accounting transaction during a financial year, excluding a transaction and its related costs arising from an obligation that the company is required to comply with under the Malaysian law.
In order to qualify for the audit exemption for dormant companies, a company must:
As their name suggest, “zero-revenue companies” are companies which do not have any revenue during the current financial year.
Its total assets must not exceed RM300,000 during the Statement of Financial Position of the current financial year and of the immediate past two financial years.
A company may also qualify for an audit exemption if it has continuously been below the following thresholds during the current financial year and the immediate past two financial years:
The audit exemption is being implemented on a staggered basis and will be available as follows depending on the category of the company, its date of incorporation and the beginning of its financial year.
Category | Date of incorporation | Financial year starts on or after |
Dormant company | On or before 31 January 2017 | 1 September 2017 |
Dormant company | On or after 31 January 2017 | 31 January 2017 |
Zero-revenue company | n/a | 1 January 2018 |
Threshold-qualified company | n/a | 1 July 2018 |
It is important to note that even if a company is exempted from audit requirements, it must still lodge its unaudited financial statements with the CCM, together with the directors’ report, statement by the directors and statutory declaration as provided by the CA 2016.
In addition, the unaudited financial statements must be accompanied by a certificate stating:
The certificate has to be signed by a director certifying to the best of his knowledge and belief that the company is entitled to exemption from audit under the CA 2016.
Once the company is audited exempted, it will continue to be exempted for as long as it meets the requirements. In others words, when a company ceases to be qualified, it will automatically lose its status as exempt company.
Going forward, it is recommendable for companies to check if they may qualify for any of the above mentioned audit qualifications. If so, it should be determined if use shall be made of such exemption or if there are reasons why an audit would still be preferred despite of the costs related therewith.
Pascal Brinkmann, LL.M. (Stellenbosch) |
Caroline Pelaez |