Submission on Amendments to For-profit Domestic Accounting Standards
Proposed amendments to FRS-42, FRS-43 and FRS-44 due to NZ IFRS 18...
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Clear filtersProposed amendments to FRS-42, FRS-43 and FRS-44 due to NZ IFRS 18...
CA ANZ / ACCA joint submission on IAASB’s consultation in relation to narrow scope amendments on the use of experts...
CA ANZ submission on FMC Act Amendment Bill to facilitate the introduction of an auditor liability capping regime...
CA ANZ welcomes the redesigned tax transparency code but recommends refinements so it remains practical, proportionate, and harmonised with the evolving transparency landscape...
CA ANZ supports the ATO’s efforts to develop a vulnerability framework and suggests further refinements so it is clear who can rely on the framework...
CA ANZ’s feedback on the discussion document...
CA ANZ / CPA Australia joint submission on IPSASB on ED 93 Definition of material...
CA ANZ’s feedback on PUB00496: the two draft “Questions We’ve Been Asked” (QWBA)...
CA ANZ’s feedback on the draft operational statement ED0265...
CA ANZ considers the Code as sufficiently robust to address auditor independence for all relevant parties to CIVs/pension funds...
CA ANZ’s feedback on the issues paper...
Chartered Accountants ANZ, CPA Australia, the Financial Advice Association Australia (FAAA), the Institute of Public Accountants and the SMSF Association welcome the opportunity to provide feedback to...
CPA Australia and CA ANZ supports APRA’s objective of strengthening governance across regulated entities and endorse the focused direction on proportionality, clarity, and alignment with international...
CA ANZ’s feedback on the interpretation statement PUB00469...