IFRS 10 · Professional Services

Intercompany Eliminations
for Professional Services

Professional services groups share partners, staff, and clients across national practices, regional entities, and specialist divisions. This tool matches intercompany staff recharges, referral fees, and overhead allocations to generate elimination journals for consolidated accounts.

IFRS 10 · LIVEv2026.040/8 sections

Consolidation eliminations,
journal-ready.

Session
0xDFBD
Group
FY 2026
Ownership
100%
eliminations.conf
ifrs10.ref
README.md
01// group— IFRS 10.B86
02group_name=
03parent_entity=
04subsidiary=
05ownership_pct=%
06reporting_period=
07// section_a.trading— IFRS 10.B86(b)
08enabled=
09// section_b.upii— IFRS 10.B86(c)
10enabled=
11// section_c.ic_loan— IFRS 9 / IAS 24
12enabled=
13// section_d.dividend— IFRS 10.B86(a) · B94
14enabled=
15// section_e.ar_ap_balance— IFRS 10.B86(c)
16enabled=
17// section_f.mgmt_fee— IAS 24.18
18enabled=
19// consolidation_scope— IFRS 10.7 · B18-B85
Control assessment (IFRS 10.7 — all three elements required):
50
51
52
53
54
55
56scope.rationale=
Consolidation scope · control rationale (IFRS 10.7 · B18-B85)
20// journal_entries— IFRS 10.B86 · auto-derived
Enable one or more elimination sections above to generate journal entries.
Journal entries · auto-derived (IFRS 10.B86)
21// transfer_pricing— IAS 24.18 · OECD BEPS Action 13
Transfer pricing documentation (tick each confirmed):
60
61
62
63
64
65
66
68tp.rationale=
Transfer pricing · IAS 24.18 + OECD BEPS Action 13
22// deferred_tax_on_upii— IAS 12.39
70buyer_tax_rate=%
Enable Section B (UPII) to see the deferred-tax asset.
72dta.rationale=
Deferred tax on UPII · IAS 12.39
23// completeness_assessment— IFRS 10.B86
IC elimination category coverage (✓ = addressed via sections A-F above, toggle G/H if applicable):
76
77
78
79
80
81
82
83
84completeness.narrative=
Completeness · IFRS 10.B86 category coverage
24// risk_warnings— ISA 600.A141 · rule engine
Enable sections above to run risk analysis.
Risk warnings · rule engine (ISA 600.A141)
25// disclosure_and_conclusion— IFRS 12.9-13 · IAS 24.18
Tick disclosure items addressed in FS notes:
90IFRS 12.10
91IFRS 12.12
92IFRS 12.B10-11
93IFRS 12.13
94IAS 24.18(a)-(b)
95IAS 24.18(b)
96IAS 24.17
97IFRS 10.B86
98prepared_by=
99reviewed_by=
**conclusion.narrative=
Disclosure + conclusion · IFRS 12.9-13 + IAS 24.18
awaiting input·0 JEs · 0/8 sectionsEUR·100%
previewwp-ic-elim-2026.pdf
🔒 LOCKED
IFRS 10 working paper preview
Enable one or more elimination sections to see your working paper render in real time.
Gross P&L Eliminations
revenue + interest + dividends + fees
PRIMARY
Journal Entries
sections enabled above
Net P&L Impact (UPII)
unrealised profit in inventory
Completeness
0/8
categories addressed
EXPORT (EMAIL TO UNLOCK)

Email unlocks the free download.

No payment required. Unlock above to download the full working paper.

Format
HTML → PDF
Pages
6–10
Price
FREE
or CtrlE

IFRS 10 intercompany eliminations for Professional Services

Professional services groups (accounting firms, law firms, consulting practices, engineering consultancies) consolidate entities that are organised by geography, service line, or both. A typical group includes a parent or international holding entity, national practice entities in each country of operation, and possibly specialist entities for niche services. Unlike manufacturing or retail, professional services groups have almost no inventory and no physical product transfers. The intercompany transactions are service-based: staff secondments, referral fees for cross-border client introductions, shared overhead allocations, and intercompany charges for specialist expertise. The absence of physical goods means there's no unrealised profit on inventory, but unrealised profit can arise on capitalised intercompany service charges (for example, if one entity charges another for software development services that the receiving entity capitalises as an intangible asset under IAS 38).

The intercompany transactions fall into predictable categories. Staff secondment charges are the largest: when one national practice seconds a consultant or specialist to another practice for a client engagement, the sending entity charges the receiving entity a day rate that includes salary, benefits, and a margin. Referral fees compensate the entity that introduced the client when another entity delivers the engagement. Shared overhead charges from the parent or a shared services entity cover brand licensing, IT infrastructure, global HR functions, professional indemnity insurance, and quality management systems. Intercompany loans are less common than in capital-intensive industries but do arise when new offices are being established or acquisitions funded. Some professional services groups also operate through network structures where national practices are separate legal entities but share a brand and quality framework. The consolidation obligation under IFRS 10 depends on whether the parent entity actually controls the national practices (through equity, contractual arrangements, or a combination) or whether the network operates as a looser affiliation that doesn't meet the IFRS 10 control criteria.

Audit findings in professional services group consolidations tend to focus on the allocation methodology for shared overheads. The allocation basis (revenue, headcount, or a blended metric) directly affects each entity's profitability, and partners in each national practice scrutinise the allocation closely. From an audit perspective, the issue isn't the allocation method itself but rather consistency of application. If the parent charges entity A based on headcount and entity B based on revenue for the same service, the inconsistency creates matching problems at consolidation and raises questions about whether the intercompany pricing has economic substance. The FRC's practice note on group audits (PN 20) reminds auditors to assess whether related party transactions (including intercompany transactions) are conducted on terms that could distort the financial position of individual group entities, even though the transactions eliminate at consolidated level.

Map all intercompany arrangements from the group's service agreements and management contracts. For staff secondments, verify that the sending and receiving entities recorded the same number of days at the same rate. For referral fees, confirm the fee percentage, the revenue base it applies to, and the period covered. For shared overhead allocations, obtain the allocation model and verify that it was applied consistently across all entities and periods. Where a national practice has capitalised any intercompany service charge as an intangible asset (common for internally developed software or training programmes), check for embedded intercompany margin and eliminate it from the capitalised amount. Recalculate amortisation on the adjusted cost for the current and prior periods.

Frequently asked questions: Professional Services

- Q: How do I determine whether a professional services network requires consolidation under IFRS 10?
Assess whether the parent or central entity has power over the national practices, exposure to variable returns from them, and the ability to use that power to affect returns (IFRS 10.7). If national practices are separate legal entities where the central entity controls board appointments, sets quality standards that determine licence to operate, and shares in profits, consolidation is likely required. If the national practices are truly independent and the central entity merely licenses a brand name, consolidation may not apply. The specific contractual arrangements determine the answer.
Do intercompany referral fees need elimination even if they're paid at arm's length rates?
Yes. IFRS 10.B86 requires elimination of all intragroup income, expenses, and cash flows regardless of pricing. The referral fee income in the introducing entity and the corresponding expense in the delivering entity both disappear in the consolidated accounts. From the group's perspective, there's no referral (the group served its own client).
How should I handle the elimination of partner profit shares in a professional services group?
Partner profit shares (or drawings) in a partnership or LLP structure are distributions of equity, not intercompany transactions, unless one entity pays a profit share to partners of another entity on behalf of that entity. If entity A pays entity B's partners and recharges entity B, the recharge is an intercompany transaction that eliminates. The underlying profit distribution is an equity movement within entity B. Keep these two elements separate in your elimination workings.
What about intercompany professional indemnity insurance arrangements?
If the group operates a captive insurance entity that provides PI cover to national practices and charges a premium, eliminate the premium income in the captive against the premium expense in the national practices. Also eliminate the corresponding receivables and payables. If the captive holds provisions for claims, these do not eliminate (they represent obligations to external claimants, not intragroup balances). Only the premium flows between group entities eliminate.

Related industry guides

General Tool

Get practical audit insights, weekly.

No exam theory. Just what makes audits run faster.

290+ guides published20 free toolsBuilt by practicing auditors

No spam. We’re auditors, not marketers.