Treatment of rental property income and expense
Keywords: Mazars, Thailand, Accounting, Rental property, TFAC, Revenue Department, Departmental Regulation, Departmental Order
12 June 2019
Thai Accounting Standard No. 17 | New regulation – Tor. Por. 299/2561 |
Operating leases | Operating leases |
For a corporate lessor Lease income from operating leases is recognized in income on a straight-line basis over the lease term, unless another systematic basis is more representative of the manner in which the benefit derived from the leased asset is diminished over time. | For a corporate lessor The rental or instalment income and related expenses must be included in the computation of income and expenses in each accounting period in proportion to the period of time that the property is rented, or on another suitable basis under generally accepted accounting methods. |
For a corporate lessee Lease payments under an operating lease shall be recognized as an expense on a straight-line basis over the lease term, unless another systematic basis is more representative of the manner in which the user benefitted. | For a corporate lessee The rental expenses or the instalment payment and related expenses in the tax computation of each accounting period must be calculated in proportion to the period of time that the property is rented, or on a suitable basis under generally accepted accounting methods. |
In addition, the new regulation also specifies that, where both the corporate lessor and lessee have chosen a method for computing income and expenses for determining the net taxable profit, the method must be applied consistently, except where approval to change the method of computation has been obtained from the Director-General of the Revenue Department. This new regulation is applicable retroactively to accounting periods commencing on or after 1 January 2018.
For more information, please visit Federation of Accounting Professions website.