On Thursday, April 18, the IIF submitted a comment letter in response to a European Banking Authority (EBA) Consultation Paper on Draft Guidelines on the management of ESG risks.
The IIF broadly welcomes the SEC’s initiative under the proposed rule to introduce a benchmark standard for disclosure of climate-related information, with the aim of providing consistent, comparable, and reliable information that is relevant for investors’ decision-making.
On September 3, the IIF Special Committee on Effective Regulation (SCER) and the Sustainable Finance Working Group (SFWG) submitted comments to this IOSCO consultation.
The IIF submitted a comment letter to the IFRS Foundation Exposure Draft on Proposed Targeted Amendments to the IFRS Foundation Constitution to Accommodate an International Sustainability Standards Board to Set IFRS Sustainability Standards.
The IIF Sustainable Finance Working Group has submitted a response to the Taskforce on Climate-related Financial Disclosures (TCFD), and its Secretariat, on its public consultation on Climate-related Metrics, Targets, and Transition Planning.
On February 3, the IIF submitted a comment letter to the EBA Discussion Paper on management and supervision of ESG risks.
The IIF Sustainable Finance Working Group has submitted a response to the Taskforce on Climate-related Financial Disclosures (TCFD), and its Secretariat, on its public consultation on Forward-looking Financial Sector Metrics.
The IIF submitted a comment letter to the IFRS Foundation’s Consultation Paper on Sustainability Reporting.
On July 15, the IIF submitted a high-level response to the European Commission’s public consultation on the development of a Renewed Sustainable Finance Strategy (RSFS). Drawing on engagements with the IIF Sustainable Finance Working Group, this response is focused on topics of international relevance.
The IIF provides high-level comments to the European Commission’s public consultation on the revision of the EU Non-Financial Reporting Directive (NFRD).
On February 4, the IIF responded to the IAIS Issues Paper on the Implementation of TCFD Recommendations.
A letter from the IIF SFWG to the NGFS regarding climate risk analysis and measurement urging central banks and supervisors to seek alignment on approach.
The IIF provides high-level comments on the European Commission’s Technical Expert Group (TEG) report on an EU Taxonomy for sustainable finance.
The IIF has submitted a response letter to IOSCO Consultation Report entitled "Sustainable finance in emerging markets and the role of securities regulators.".
The IIF has submitted the response letter to the Prudential Regulation Authority (PRA) Consultation Paper - Enhancing banks’ and insurers’ approaches to managing the financial risks from climate change.