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Latham & Watkins Discusses UK’s Enhanced Climate-Related Disclosures for Listed Companies

On December 21, 2020, the UK Financial Conduct Authority (FCA) confirmed in a published Policy Statement[1] (the Statement) that it will introduce a new Listing Rule (the Rule) requiring premium listed companies to state whether they have made disclosures pursuant to the Climate-related Financial Disclosures (TCFD) recommendations, and if not, why.

The Rule comes in response to the FCA’s March 2020 Consultation Paper, under which the FCA sought to enhance climate-related disclosures by listed issuers and to clarify existing disclosure obligations. The Rule is also a forerunner to the UK’s plan to fully align corporate disclosure with the TCFD by 2025. The FCA’s Statement sets out that “better disclosure about organisations’ exposure to climate change risks and opportunities will lead to more informed pricing and drive investment towards greener projects and activities”, helping support Net Zero ambitions. The FCA is hopeful that the implementation of TCFD-aligned disclosures will pave the way for an eventual international standard for corporate reporting that is also integrated with financial reporting.

The Rule

The Rule (LR 9.8) will apply for accounting periods beginning on or after 1 January 2021. It will require companies with a UK premium listing to include a statement in their annual financial report setting out:

The Rule will be accompanied by guidance aimed at helping listed companies determine whether their disclosures are consistent with the TCFD recommendations.

Next Steps

The FCA will monitor the outcomes of the Rule in various ways, including by:

The FCA has also announced its intention in 2021 to consult on TCFD-aligned rules for a wider scope of listed companies, as well as asset managers, life insurers, and FCA-regulated pension schemes.

[1] The Statement also contains a Technical Note, clarifying existing climate-/ESG-related disclosure obligations in EU legislation and in the FCA’s Handbook.

This post comes to us from Latham & Watkins LLP. It is based on the firm’s memorandum, “FCA Enhances Climate-Related Disclosures for Listed Companies” dated December 21, 2020, and available here. This post was written with the assistance of Sabina Aionesei in the London office of Latham & Watkins.

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