This disclosure is about when an organisation must report and whether it has filed on time. In practical terms, it asks for a clear account of the reporting period covered, the status of the filing, and any relevant timing milestones so readers can see whether the organisation has met the required deadline or is still in progress.
The practical focus is on the organisation’s reporting coverage and readiness, not just a single site or a headline figure. The explanation should make clear whether the filing relates to the organisation as a whole and how far the reporting has been completed across the relevant operations included in the submission.
This LRA educational guidance supports disclosure preparation. For the exact requirements, always refer to the official CARB source.
A quick mental checklist before you prepare this disclosure — tick each as you settle it.
Key datapoints to prepare
How to prepare it
Request the filing timeline and status details
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own filing and governance terms first, then map them to the reporting timeline items below. Keep the ask in the language your team already uses for board papers, statutory filings, and sustainability reporting, and check the source material before sign-off.
Can you confirm the disclosure items for the reporting timeline and filing status?
Why it fails: It uses framework language instead of the team’s own filing terms, and it does not specify the period, entity boundary, source record, or the exact timing and status fields needed to complete the pack.
Please send the filing calendar details for [entity / group] for [reporting period]: whether this is an annual cycle, the first reporting year, the planned date for the first Scope 1 and 2 filing, whether the first-year filing was made on a good-faith basis, the number of days allowed before the Scope 3 filing, the year Scope 3 starts, and the current filing status. Include the source record and owner.
Notes that turn data into a disclosure
LRA training templates — adapt them to your organisation, and check the official source before sign-off.
This draft should explain which reporting year is being covered, how the organisation has defined the relevant fiscal period, whether the filing is treated as the first submission or a later one, and which emissions sources are included at each stage.
The figures should be read as a staged reporting journey: the organisation first discloses direct emissions and purchased-energy emissions, then adds wider value-chain emissions in the later phase, so the numbers reflect a phased build-up rather than a single all-at-once filing.
If the reported position changes from one period to the next, the narrative can point to the move from the first filing year to later years, the shift from the initial deadline to the broader reporting stage, or a change in submission status as the reason for the difference.
Preparation tools & forms
Professional preparation tools for SB253-REPORTING-TIMELINE — free with an LRA Community membership. Register once (it's free) and every download unlocks, together with the Disclosure Library, templates and the LRA AI-assistant.
For each claim, check the evidence
Evidence pack to prepare
Common reporting gaps
Mistakes to avoid when collecting the data
Where judgement is often needed
Illustrative examples
Synthetic, written by LRA — not from a company report, not text from any standard.
We treat this as an annual filing cycle, with our first year of reporting set to FY2026. Our initial Scope 1 and Scope 2 filing would be due by 30 June 2027, and that first submission may be made on a good-faith basis. - Scope 3 comes later, after the first Scope 1/2 filing has been made; for us, that starts in FY2027. - Status: we would mark the first filing as submitted, with Scope 3 not yet due in that opening year.
Illustrative only; shows the timing sequence for the first year, the later start for value-chain emissions, and the possibility of a good-faith opening submission.
We report on an annual basis, with our first reporting period set to FY2027. Our first Scope 1 and Scope 2 return would be due by 30 June 2028, and we would use the good-faith option for that opening submission. - The wider value-chain disclosure follows after the first direct-emissions and purchased-electricity filing; in our case, that begins in FY2028. - Status: the first return would be filed, while the later value-chain piece would remain pending until its start year.
Illustrative only; shows a different sector, a later first year, the first deadline, the good-faith opening filing, and the later start for value-chain reporting.
How companies report SB253-REPORTING-TIMELINE in practice
Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

Scenarios to work through
A preparer has confirmed the organisation will report every year, but the first filing cycle is still being mapped because the finance team uses a non-calendar fiscal year. The draft pack also shows the first greenhouse-gas filing date has been set, but no one has yet agreed whether the first-year pack will be treated as a good-faith first submission.
A sustainability lead is preparing the next disclosure pack and notices that Scope 1 and 2 data will be filed first, while Scope 3 work is still being gathered from suppliers. The team is unsure whether the Scope 3 deadline should be shown as a fixed number of days after the earlier filing or as a separate date.
A reporting manager is reviewing a draft and sees the status field marked as “in progress” even though the first filing has already been sent to the regulator. The pack also includes the first reporting year and the first emissions deadline, both of which match the submission that was sent.
An internal reviewer finds that the organisation plans to report annually, but the draft template leaves the annual reporting field blank because the team assumed it was obvious from the narrative. The same draft also lists a first-year date and a Scope 3 start year, but there is no clear yes/no entry for annual reporting.
Related framework references
How this disclosure maps across the major reporting frameworks.
Questions this page answers
The page says to prepare seven datapoints: annual filing flag, first reporting year, initial emissions deadline, first-year good faith flag, carbon report lag, value-chain start year, and filing progress status. Use those as the starting checklist before you draft anything.
Use it as a working sequence for getting the disclosure ready, rather than as a final answer key. The page is designed to help you move from data gathering to a draft and then to assurance readiness.
The page includes an evidence pack with five items to support assurance readiness. Build it alongside the disclosure so the claim, the underlying data, and the supporting records stay aligned.
The page says there are six assurance claims to check, each with a claim, risk and evidence angle. Use that section to test whether your draft is supported and whether the evidence pack covers the main risks.
The page lists common reporting gaps and mistakes to watch for. Use that section as a pre-submission check so you can spot missing datapoints, weak evidence, or inconsistent drafting before the disclosure is finalised.
The Download Centre includes a Prep & Assurance workbook in .xlsx format. Use it to organise the datapoints, evidence and draft status so the disclosure is easier to review and hand over.
The Download Centre also includes a printable Library Card in PDF format. It is there as a practical reference you can keep alongside the workbook while you prepare the disclosure.
Yes, but only as a synthetic example to show how the disclosure might look in practice. The page also includes a quantitative table in the example, so you can see how the data may be presented without treating it as a real company disclosure.
The page includes draft-output ideas such as visualisation options, narrative starters and a content-index line. Use those to turn your prepared data into a first-pass disclosure draft.
It gives you the assurance claims to test, the evidence pack to assemble, and the common mistakes to look for. That makes it easier to check whether the draft is internally consistent and backed by records.
The page says ESRS E1 (Climate Change) is the closest correspondence, so the data may be reusable across both contexts. Treat that as a practical cross-framework pointer, not as a statement that the requirements are identical.
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