Organizations Involved: Environmental Defense Fund, Institute for Policy Integrity
Source: Harvard Law School Forum on Corporate Governance

Abstract

This blog outlines reasons for supporting the SEC’s plan to propose a rule requiring standardized climate risk disclosures and provides several recommendations for how the SEC should build its institutional knowledge as it designs and enforces a climate risk disclosure regime, drawing on a forthcoming paper in the N.Y.U. Journal of Legislation and Public Policy.

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