FCA CP25/32 proposes major changes to MiFIR transaction reporting. Explore key reforms, governance expectations and steps firms should take to prepare.
PRA’s SS5/25 sets clear rules for climate risk governance, scenario analysis, and data standards, guiding UK firms to embed climate risk into core decisions.
The European Banking Authority is consulting on new guidelines for authorising third-country branches under its sixth Capital Requirements Directive (CRD VI). Rashim Arora explores the new rules and how UK banks can turn regulatory change into a strategic advantage.
The European Banking Authority has published a report on cross-border banking services and the regulatory boundaries for third-country firms operating in the EU. Rashim Arora explores the findings and how firms can prepare for the end of remote access to EU clients alongside an evolving compliance landscape.
Firms must review the FCA's guidance on anti-greenwashing, ensuring they review sustainability-related communications.
The Transition Plan Taskforce has published its final disclosure framework to help firms reach their climate goals.
Our biodiversity Q&A looks how nature loss is leading to greater exposures for the financial sector.
Sustainability linked loans require improvement to avoid greenwashing, and maintain trust in sustainable finance.
The Financial Reporting Council (FRC) is reviewing non-financial reporting requirements to improve standards.
Following a regulator’s review of greenwashing monitoring and supervision, what should firms do to stay compliant?
The ECB has highlighted further work needed to develop effective climate-related and environmental risk disclosures.
The FCA’s ESG benchmarks review found that ESG-related disclosures were poor. How can benchmark administrators improve?
The updated Green Finance strategy is here. What are the key messages?
Effective accounting practices are essential to manage climate risk, but what are the Bank of England’s expectations?
Good governance is integral to achieving good sustainability outcomes – but where to start?
The regulatory capital framework has capability and regime gaps relating to climate risk, but how to address them?
