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Compliance · Credibility 85/100 · · 2 min read

Sustainability reporting sprint — SEC climate rule FY2025 data controls

Large accelerated filers must have auditable greenhouse-gas, climate risk, and expenditure controls locked by August 2025 to support the U.S. SEC’s new climate disclosure requirements that begin with FY2025 Form 10-K filings.

Executive briefing: The U.S. Securities and Exchange Commission’s climate disclosure rule (Release Nos. 33-11275; 34-99678) requires large accelerated filers with calendar fiscal years to start reporting Scope 1 and Scope 2 emissions, climate-related financial impacts, and governance on their FY2025 Form 10-K filings in early 2026. That leaves only a few months after mid-year close to harden internal controls over greenhouse-gas inventories, scenario analysis, and spend tracking. Controllers, sustainability officers, and CIOs need to stabilise data pipelines by August 2025 so auditors can test design and operating effectiveness before year-end.

Control environment checkpoints

  • Financial statement impact. Article 14 of the final rule compels disclosure of capitalised costs, expenses, charges, and losses tied to severe weather and climate targets when any threshold exceeds 1% of the relevant line item, necessitating chart-of-account updates and tagging.
  • Governance evidence. Item 1501 of Regulation S-K requires boards to describe oversight of climate risks, while Item 1502 demands management process detail—documentation must be audit-ready.
  • Attestation runway. The rule mandates limited assurance over Scope 1 and Scope 2 data starting with FY2029, but auditors will begin walkthroughs during FY2025 to establish baselines and independence.

Operational build

  • Align enterprise emissions inventory tools with the Greenhouse Gas Protocol and SEC calculation constraints, producing monthly variance analysis and evidence logs.
  • Automate severe weather impact capture by integrating facilities, insurance, and ERP data, mapping to Reg S-K Item 1502(c) risk management disclosures.
  • Embed disclosure controls within SOX 404 scoping so CFO certifications cover sustainability metrics alongside financial statements.

Enablement moves

  • Create joint sustainability-finance steering committees to prioritise system integrations and attestation readiness.
  • Run mock disclosure committee sessions using draft climate narratives to stress-test governance and documentation.
  • Coordinate with external auditors on evidence expectations to avoid year-end remediation work.

Sources

Zeph Tech helps finance and sustainability teams operationalise SEC climate disclosures—engineering data pipelines, governance artefacts, and attestation support.

  • SEC climate disclosures
  • Greenhouse gas accounting
  • Financial reporting
  • Sustainability governance
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