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Comments to the SEC on Regulation S-K and Climate Risk
Agency FilingFinancial DisclosureFinancial Regulation

Comments to the SEC on Regulation S-K and Climate Risk

By Madison Condon, Jack Lienke, Alex Kristofcak and Alex LangerApril 28, 2020June 3rd, 2021No Comments

Organizations Involved: Institute for Policy Integrity
Source: Securities & Exchange Commission

Abstract

The SEC should adopt a more specific line-item approach to climate risk reporting similar to the TCFD’s framework in order to limit manager discretion in disclosure and encourage corporate preparedness for climate change.

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Regulator & Court Approaches to Managing Uncertainty in the Climate Risk ContextSecurities & Exchange Commission
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