Open consultation: CP21/18
22/06/2021
Consultation closed
10/09/2021
Policy Statement
17/12/2021
17/12/2021
We are extending the application of our climate-related disclosure requirements to issuers of standard listed shares and Global Depositary Receipts representing equity shares. We summarise the feedback to our consultation and confirm our final rule.
High-quality information on companies’ exposure to climate-related risks and opportunities will support more accurate asset pricing and better management of climate-related risks and opportunities, underpinning more efficient capital allocation in the transition to a net zero economy.
Our final rule will directly affect issuers of standard listed shares – both equity shares, and shares other than equity shares – and standard listed issuers of Global Depositary Receipts (in each case excluding listed investment entities and shell companies). We also set out considerations relevant to issuers of standard listed debt and debt-like securities.
Our finalised handbook guidance also incorporates new and updated guidance materials from the TCFD. These materials have been referenced in guidance relating to both the existing and new rules, so also affect premium listed commercial companies.
This PS will also be of interest to other stakeholders, including:
We took our first step to introduce climate-related disclosure requirements in December 2020, introducing a Listing Rule for premium listed commercial companies referencing the TCFD’s recommendations. The rule we are finalising in this PS extends the application of the existing Listing Rule to a wider scope of listed issuers.
Our final rule and guidance form part of a broader strategic aim to promote transparency on climate change and wider sustainability matters along the value chain.
Our work supports the UK’s commitment to introduce mandatory TCFD-aligned disclosure obligations[2] across the UK economy by 2025. In finalising our rules, we have also had regard to the Government’s net zero commitment, in line with Government expectations.
Our new rule will apply for accounting periods beginning on or after 1 January 2022. So, the first annual financial reports subject to the new rule will be published in early 2023.
Listed issuers directly affected by the new LR should familiarise themselves with the rule and associated guidance. They need to assess the suitability of their current arrangements to ensure they can meet the requirements of the rule.
Premium listed issuers in scope of LR 9.8.6R(8) should also consider the implications of both the new and amended guidance provisions which will apply to disclosures for accounting periods beginning on or after 1 January 2022.
Links