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In this alert, we provide a round-up of the latest developments in ESG for UK corporates.
In this month’s ESG Market Alert, we cover:
The FCA has published amendments to the UK Listing Rules and Disclosure Guidance and Transparency Rules which implement mandatory “comply or explain” board and executive management-level diversity and inclusion reporting for UK-listed companies.
The new rules apply to:
The rules do not apply to companies admitted to trading on AIM or which only have listed debt or other non-equity securities.
The new reporting requirements require in-scope companies to report annually whether they have met specific board diversity targets at a chosen date within their reporting period and, if not, to explain why they have failed to meet those targets. The board diversity targets are:
The rules are effective immediately and apply in respect of accounting periods starting on or after 1 April 2022. However, the FCA is also encouraging companies whose current financial year began on or following 1 January 2022 to consider complying with the new rules on a voluntary basis.
Read the full article on the FCA rules on mandatory D&I reporting here.
On 1 April 2022 ESMA published updated Q&As on its guidelines on alternative performance measures (“APMs”) (the “Guidelines”).
In these responses, ESMA concluded that where financial measures relating to ESG matters (for example green turnover or sustainable CAPEX) are published in regulated information or prospectuses, such measures fall within the scope of the Guidelines. This means that those ESG measures must comply with the principles set out in the Guidelines in relation to (amongst others) definitions, labels, reconciliations to audited figures and explanations. These requirements do not apply where the measures are determined in accordance with applicable legislation (such as the Taxonomy Regulation or the EU Sustainable Finance Disclosures Regulation) in accordance with paragraph 4 of the Guidelines.
ESMA also advised issuers to exercise caution when presenting APMs using ESG labels, as these may be misperceived by users as being compliant with the Taxonomy Regulation or SFDR. Issuers must therefore make clear whether a specific ESG financial measure is determined in accordance with one of these regimes, either by displaying this in the label or in any accompanying information (e.g. via a footnote).
The formalisation of the treatment of ESG-related KPIs by ESMA is an important development. It is intended to mitigate "greenwashing" and improve the reliability, transparency and comparability of issuers' ESG measures.
There is also increased regulatory focus on the need to make real-time disclosures where ESG-related KPIs which have been prominently featured by an issuer diverge from expectations. We expect this to be an area of great focus in the next year of reporting.
On 6 April 2022 the European Commission adopted the Delegated Regulation containing regulatory technical standards to be used by financial market participants when disclosing sustainability-related information on investment products under the SFDR, which will apply from 1 January 2023.
To ensure comparability among different financial market participants, the regulatory technical standards require:
The use of ESG performance measures in connection with both short term remuneration (i.e. annual bonuses) and long term incentives continues to grow. We are seeing a growing debate on the appropriate limit to be imposed on the proportion of variable remuneration which should be subject to ESG criteria. Although such a limit has not been specified in the current voting guidelines, more detailed voting guidance can be anticipated in the future as this aspect of executive remuneration develops.
The Hogan Lovells ESG team is here to help, including on all the issues raised in this snapshot. Hogan Lovells is one of the leading ESG firms in the world, delivering uniquely tailored cross-practice and -geographic holistic advice as ESG Counsel to clients globally. Our holistic and solutions-driven approach to managing ESG issues draws on the full scope of our global practice and sector capabilities (including our leading global corporate, environmental, governmental relations and regulatory, employment, and dispute resolution teams) to drive sustainable value and maximize positive impact for clients. Please contact us to discuss next steps or for our latest ESG-related materials, including our ESG Academy.
Our knowledge of ESG matters, coupled with our sector-focused expertise and experience can help businesses navigate this complex area. In particular, we can help by:
Authored by Fiona Bantock, Nicola Evans, Patrick Sarch, Russell Clay, Katie Dunn, Nancy Ricardo, and Imogen Thwaites.