ESG Framework Reporting

Your Solution for complying with California SB 253 and SB 261

Are you ready for California’s climate legislation?

Stay ahead of the curve with data you can trust for your California SB 253 and SB 261 reporting requirements.

What will California SB 253 and SB 261 mean for your business?

These two California climate-related disclosures (known collectively as the California Climate Accountability Package or CCAP) require large companies to disclose their greenhouse gas emissions and their climate-related financial risks.

 

UKI Sustainability SEC Tier 2 UI 3
UKI Sustainability SEC Tier 2 UI 4

Don’t leave reporting requirements to the last minute

Collecting, calculating and analysing the data required for disclosure can be a months-long process. Getting started now means you’ll be better able to meet deadlines as they approach.

Stay ahead of any new California SB 253 and SB 261 reporting requirements with our ESG reporting software

Helping companies meet their sustainability reporting obligations with confidence for over 15 years.

  • Precise, audit-ready data covering scope 1, 2, and 3
  • Faster, more efficient physical climate risk disclosures with trusted, science-based data
  • Get started quickly and collect data across the organisation, no expertise required
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STEP BY STEP

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How our ESG software can help you comply 

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Expert Advice

Our expert analysts have experience helping customers meet various global sustainability reporting obligations.

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Emission Factor Database

We source and verify the quality of emission factors in our constantly updated database, so you don’t have to.

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Secure Central Storage for documentation

All your evidence files, data and associated documentation in one place, ready for audit.

Comprehensive support for leading sustainability frameworks

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Trusted by 11,000+ customers worldwide

With knowledge from 90 different industries, we have developed our platform to make sure it tailors to your needs.

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Frequently asked questions

What are the proposed SEC climate-related disclosure rules? 

The SEC released a proposed rule on climate disclosure in March 2022 affecting listed companies in the United States. The rule would bring in new requirements for greenhouse gas emissions tracking and climate risk reporting. It sets out to make reporting practices consistent and comparable to meet investor demand for decision-useful information.  

The proposed rule is built around the Task Force for Climate-Related Financial Disclosures (TCFD) recommendations across the themes of Governance, Strategy, Risk Management, Metrics and Targets, as well as the Greenhouse Gas (GHG) Protocol for emissions reporting.  

Listed companies in the U.S. would need to report their physical climate risks under various scenarios as well as scope 1 and scope 2 emissions, with scope 3 being phased-in for material sources.  

The proposed rule sets out that SEC registrants would be mandated to include the climate-related disclosures in a separate section of Form 10-K annual reports. Finally, the requirements would apply to registration statements such as initial public offerings.  

In December 2023, finalisation of the proposal was delayed  until Spring 2024

As of April 2025, the SEC ended its defence of climate-related disclosure rules. 

What is TCFD? 

Task Force for Climate-Related Financial Disclosures. The TCFD has developed a framework to enable companies to effectively disclose climate-related risks and opportunities through their existing reporting processes. 

What is a ‘base year’? 

In GHG reporting and accounting, a year chosen as a basis against which future emissions are compared. 

What are ‘Scope 3’ emissions? 

There are three emissions scopes, based of the Green House Gas Protocols (GHG) Corporate Standard. Scope 3 are indirect emissions which result from all other activities and sources that occur in the value chain of the reporting company not covered in scope 2. This includes business travel, commuting, waste, and 3rd party deliveries.  

Reporting of all scope 3 emissions is typically not mandatory, unless the organisation is subject to a regulation such as the CSRD in the EU. This may become mandatory under the proposed SEC climate ready and SEC greenhouse gas emissions disclosure rules. They will become mandatory for companies that must comply with California SB 253 and SB 261 in 2027.