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Home Disclosure Library IFRS / ISSB IFRS-S2 s2-25-a
IFRS-S2: IFRS S2 - Climate-related Disclosures · 2024
Paragraphs 25–a

Climate-risk processes and policies

Practical guidance for preparing this disclosure. Use this card to identify datapoints, verify claims and organise supporting evidence. For exact requirements, always refer to the official IFRS source.

Dr Ross Kurinko, Sustainability Reporting Trainer
Reviewed by Dr Ross Kurinko · Sustainability Reporting Trainer LRA educational guidance · Not issued or endorsed by IFRS
To prepare this disclosure
Disclosure focus

This disclosure asks an organisation to explain the processes and policies it uses to identify, assess and manage climate-related risks. In practice, the report should show how climate risk is built into decision-making, what internal rules or procedures are in place, and who is responsible for applying them. The emphasis is on describing the organisation’s approach clearly, rather than listing isolated actions.

The practical focus is usually on whether these processes and policies apply across the whole organisation, including relevant operations, business units and locations, rather than only at a few flagship sites. A useful explanation would make clear the scope of coverage, any differences between parts of the business, and how consistently the approach is applied in day-to-day management.

This LRA educational guidance supports disclosure preparation. For the exact requirements, always refer to the official IFRS source.

Before you start

A quick mental checklist before you prepare this disclosure — tick each as you settle it.

Preparation

Key datapoints to prepare

Datapoint What to capture Evidence hint Owner
Year-on-year changes Record what changed since the last reporting cycle, with enough detail to show the movement and the reason it changed. Prior-year submission, current-year working papers, and a short change log signed off by the reporting owner. Reporting / Finance
Source systems and boundary Set out which systems, files, and business areas feed the datapoint, and exactly which entities, sites, or populations are included or left out. Data lineage note, system extracts, boundary memo, and reconciliation to the in-scope population list. Data / Reporting
Review frequency State how often the datapoint is checked or refreshed, and whether that timing is monthly, quarterly, annual, or event-driven. Monitoring plan, control calendar, and evidence of the last few review dates. Reporting / Controls
Relevant controls and rules Describe the internal rules, procedures, and controls that govern how the datapoint is produced, checked, and approved. Policy documents, process maps, control descriptions, and approval records. Policy / Controls
Selection and ranking logic Explain how items are chosen, ranked, or filtered for inclusion, including the decision rules used to decide what matters most. Methodology note, scoring model, ranking criteria, and examples of recent selections. Risk / Reporting
Risk cut-offs Capture the thresholds, bands, or trigger points used to decide when an issue is treated as higher or lower risk. Risk matrix, threshold table, approved methodology, and any calibration notes. Risk / Controls
Scenario analysis use Describe how scenario analysis is used to identify risks, including which scenarios are considered and how the results feed into risk identification. Scenario analysis paper, risk assessment output, and meeting notes showing how scenarios informed the risk register. Risk / Strategy
+ Show s2-25-a sub-elements (LRA working checklist)

How to prepare it

1Set the boundary first: decide which parts of the business, value chain, or reporting period are in scope for this disclosure, and make that choice clear in your working papers.
2Define the terms you will use for the report: explain what counts as a relevant source of information, what sits inside the scope, and how you will treat any screening, ranking, or scenario-based inputs used to identify risks.
3Gather the support behind each point: keep the underlying records that show the information came from the chosen sources, the monitoring rhythm used, and the policies or procedures that guide the process.
4Build the disclosure from those records: prepare the figures or narrative so it reflects the way risks were identified, the criteria or cut-offs applied, and the logic used to decide what was prioritised.
5Record anything that changed or was left out: note differences from the previous year, explain exclusions, and describe any shifts in sources, scope, methods, or assumptions so the reader can follow the trail.
6Check the draft against the official source before sign-off: confirm the wording, scope, and evidence line up with the standard and that nothing material has been missed or overstated.
Request the data

Request the climate-risk process evidence from Risk

Translate the disclosure into an internal business question — then adapt it to your organisation's own language.

How do we currently identify, assess, prioritise, monitor, and update climate-related risks, and what changed since last year?

Use your organisation’s own names for risk frameworks, control cycles, review forums, and scenario work first; then map them to the disclosure fields below. Keep the ask in business language that your risk team already uses, and check the official source before sign-off.

Weak request

Please provide the climate-risk policies and processes disclosure evidence.

Why it fails: This uses framework language only, so the owner may not know which internal documents, systems, or review cycles to pull. It also does not specify scope, period, source, or the exact business questions needed to assemble the evidence.

Better request

Please send the latest pack your team uses to identify, rank, and review climate-related risks for [reporting period], including the documents, register extracts, committee papers, and scenario notes that show the scope covered, review cadence, ranking logic, thresholds or triggers, and what changed since last year.

Formal email template
Subject: Request for climate-risk process evidence for [reporting period]

Hi [name],

Could you please share the current evidence pack for how [business / group / function] identifies, reviews, and updates climate-related risks for [reporting period]?

Please include, in your team’s own terms:
- the main process or policy documents used;
- the data inputs and scope covered;
- how often the review happens;
- the logic used to rank or filter risks;
- any thresholds, triggers, or escalation points;
- how scenario work is used when spotting risks; and
- what changed compared with the prior year.

If the information sits across a register, slide deck, procedure, or committee paper, that is fine — please send the source files or links and note where each item can be found.

A possible LRA training template is attached below for reference only; please adapt this to your organisation and check the official source before sign-off.

Thanks,
[preparer name]
Short Teams / Slack version
Hi [name] — could you send over the latest climate-risk process pack for [reporting period]? Please include your team’s own wording for the process/policy, data inputs and scope, review frequency, ranking logic, thresholds/triggers, scenario use, and what changed since last year. Source docs or links are fine. Thanks.
Industry examples
Manufacturing

Context. A plant-heavy group wants evidence from operational risk and EHS teams covering sites, utilities, and supply chain disruption.

Adapted request. Please share the current site-risk pack for [reporting period] showing how the business spots and reviews climate-related risks across plants and logistics. Include the process note, site scope, review cadence, ranking rules, escalation triggers, scenario inputs used in screening, and any changes since last year.

Example response. Attached: Group risk procedure v4 dated [date]; site risk register extract for 12 plants; quarterly risk committee slide deck; scenario screening note using severe heat and flood cases; change log showing a new supplier-disruption trigger added this year.

Financial services

Context. A lender wants evidence from enterprise risk and credit risk teams covering portfolio screening and governance review.

Adapted request. Please send the latest portfolio risk pack for [reporting period] showing how climate-related risks are identified and prioritised across the lending book. Include the internal policy note, portfolio scope, review cadence, rating or filtering logic, thresholds for escalation, scenario use in screening, and what changed since the prior year.

Example response. Attached: Climate risk policy note v3; portfolio scope summary by business line; monthly monitoring dashboard; credit screening rules; committee paper showing a revised sector threshold and updated scenario set compared with last year.

Draft your disclosure

Notes that turn data into a disclosure

LRA training templates — adapt them to your organisation, and check the official source before sign-off.

Method note

Set out the basis used to prepare the disclosure, including the definitions applied, the data inputs relied on, the scope covered and the review rhythm used to keep the information current.

Context note

Explain what the figures are intended to show in practice: how the organisation identifies climate-related risk, what drives the ranking of issues, and how the chosen thresholds and scenario work shape the results.

Fluctuation statement

If there are notable year-on-year movements, describe whether they come from changes in the underlying data, the scope of what was included, the way risks were assessed, or the timing of the review process.

Content index entry
s2-25-a Climate-risk processes and policies — [location / page] / [notes]
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Preparation tools & forms

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Assurance readiness

For each claim, check the evidence

ClaimRiskEvidence to check
We explained what changed in our climate-risk process since last year, and we kept the wording focused so it did not repeat other parts of the report.The assurer may ask whether the year-on-year change is real, complete, and not just a restatement of earlier narrative.Prior-year and current-year drafts, tracked-change notes, internal change log, board or committee papers showing what was updated, and the final cross-reference map to avoid repetition.
We set out the information inputs we used, where they came from, and which parts of the business they covered.The assurer may probe whether the stated sources are complete, whether any sites, entities or activities were left out, and whether the scope matches the figure presented.Source register, data lineage or mapping document, scope list of operations included and excluded, system extracts, and sign-off from the owners of the underlying data.
We described how often the risk information is reviewed and updated, using the cadence we actually followed in preparation.The assurer may check whether the stated frequency matches practice and whether any ad hoc reviews or late updates were omitted.Review calendar, meeting minutes, workflow timestamps, update logs, and evidence of any interim checks before publication.
We set out the policies and working steps we used to find, assess, rank and keep track of climate-related risks.The assurer may test whether the process description is complete, consistent with internal practice, and supported by documented procedures rather than informal habit.Policy documents, process maps, risk methodology papers, control descriptions, committee packs, and evidence that the described steps were followed in the reporting cycle.
We explained how we decide which climate risks come ahead of other risk topics in our internal review.The assurer may ask whether the ranking approach is actually used, whether it is applied consistently, and whether the report makes clear how climate issues are weighed against other risks.Risk appetite or ranking framework, enterprise risk register, prioritisation criteria, committee papers showing comparative ranking, and examples of decisions made using that approach.
We described the factors we used to judge how serious a risk might be, including the signs we looked for and any cut-offs or scoring rules.The assurer may probe whether the assessment basis is defined, applied consistently, and supported by evidence rather than judgement alone.Assessment methodology, scoring matrix, threshold tables, qualitative factor list, worked examples, and review notes showing how the criteria were applied.

Evidence pack to prepare

Common reporting gaps

The information is presented without a date or as-at point.The scope or boundary of the statement is left undefined.Key terms are used inconsistently across the report.Material changes since the previous period are not disclosed.Assertions are made without supporting detail or a source record.Boilerplate is used that does not actually answer what is asked.
Common gaps

Mistakes to avoid when collecting the data

Wrong owner
The request goes to the wrong team, so the answer comes from a group that does not actually run the climate-risk process or keep the supporting records.
Framework language used
People ask for the information in reporting jargon instead of the organisation’s own terms, and the source team cannot map it back to the way they work.
Scope not pinned down
The collector does not state which business areas, entities or activities are in scope, so different teams send data for different populations.
+ Show 6 more

Where judgement is often needed

How to handle a year of portfolio reshaping
If acquisitions, disposals or other boundary moves changed the business mix during the year, explain the cut-off date and whether you restated or left prior-period figures as reported.
Which country rule set to use where local practice differs
Where the same control or threshold is defined differently across jurisdictions, state the rule set you applied, why it was chosen, and whether any local variations were kept separate.
Where to draw the line for near-boundary activities
For activities, sites or teams that sit close to the reporting perimeter, set out the inclusion rule you used and disclose any borderline cases that were included or left out.
+ Show 6 more
Examples

Illustrative examples

Synthetic, written by LRA — not from a company report, not text from any standard.

Illustrative (synthetic) example — Electricity generation

We use a mix of internal incident logs, plant telemetry and selected supplier data to spot climate-related risks across our owned sites and key contracted operations, and we review the picture monthly with a quarterly deep-dive for the board and its committees. Since last year, we have widened the scope to include two additional gas turbines and one battery storage asset, and we now rank issues using a simple score that combines likelihood, financial exposure and recovery time. - We treat a risk as material for screening when the score reaches 12 or more on a 20-point scale, or when expected outage time exceeds 72 hours. - We test the most exposed assets against two future weather pathways to see whether flooding, heat stress or water shortage could trigger or worsen the risk, and we use those results to decide which items move into our formal risk register.

Synthetic illustration only. It shows how a company might describe the information it uses, how often it checks it, what changed from the previous year, how it decides what to focus on first, the trigger levels it applies, and how forward-looking weather analysis feeds into risk spotting.

Illustrative (synthetic) example — Food manufacturing

Our screening draws on factory maintenance records, supplier questionnaires, insurance claims and site walk-throughs, with checks every two weeks and a formal management review each quarter. Compared with the prior year, we added three co-packing lines and one cold-store facility to the scope, and we now sort issues by combining safety impact, supply interruption risk and time to restore operations. - We flag an item for escalation when the combined score is 10 or above on a 15-point scale, or when a single event could stop production for more than 48 hours. - We also run two climate pathways through our risk workshops so we can see whether heat, drought or storm disruption would change the order of priorities or bring a new issue into view.

Synthetic illustration only. It demonstrates a different reporter’s way of explaining the sources it relies on, the parts of the business covered, the frequency of review, what changed from the previous period, how it decides what matters most, the thresholds that prompt escalation, and how scenario analysis supports risk identification.

Company reportsReal published reports
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How companies report s2-25-a

Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

SITC International Holdings Company Limited
Water Transportation · Hong Kong · 2025
Open report →
SITC International Holdings Company Limited’s 2025 Environmental, Social and Governance Report provides evidence on its processes for identifying and assessing climate-related risks, including the use of climate-related scenario analysis to inform risk identification (p.179, p.190). The report also details the data sources and scope of operations covered in these processes (p.190) and outlines policies related to energy conservation and environmental protection (p.179). However, the report does not clearly disclose changes from the prior year or the monitoring cadence, and the prioritisation logic and risk criteria thresholds are mentioned only in unclear or partial terms (p.194, p.196).
Enel Chile S.A.
Electric Utilities / IPP / Energy Traders · Chile · 2025
Open report →
Enel Chile S.A.'s 2025 Integrated Annual Report provides evidence of policies and processes related to climate change and the energy transition integrated into the Group’s activities (p.51). The report also includes the use of scenario analysis for identifying climate-related risks (p.373). However, disclosures on changes from the prior year, clear data sources and scope, monitoring cadence, prioritisation logic, and specific risk criteria thresholds remain unclear or not found within the report (pp.146, 152, 372).
MTR Corporation
Ground Transportation — Railroads · Hong Kong · 2025
Open report →
MTR Corporation’s 2025 Sustainability Report shows that climate-related risks are monitored, reviewed, and updated annually through their Enterprise Risk Management Framework, with oversight by the Risk Committee, Executive Committee, and Board-level Audit & Risk Committee (pp.13, 82). The report includes references to risk dashboards and quantitative key risk indicators supporting risk oversight (p.13), and mentions climate-related risk assessment methodologies and findings (p.83). However, the report does not provide clear disclosures on changes from the prior year, data sources and scope, monitoring cadence, prioritisation logic, risk criteria thresholds, or the use of scenarios in risk identification.
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Scenarios to work through

A group updates its climate-risk playbook after a severe weather season. The risk team has new supplier data, a revised review timetable, and a changed way of ranking issues, but the draft note only says the process was refreshed.

QWhat should the preparer do so the disclosure is useful to readers comparing this year with last year?
Reveal model answer →

A finance team wants to describe climate-risk controls using only the central register, because that is the easiest source to pull from. However, the sustainability team also uses site-level logs, board papers and a supplier-screening tool, and those sources cover different parts of the business.

QHow should the preparer decide what to include about the information base and the part of the business covered?
Reveal model answer →

A company reviews climate-risk indicators every month, but only escalates them to senior leaders once a quarter unless a trigger is hit. The draft disclosure says the issue is monitored regularly, without saying how often or what happens between reviews.

QWhat level of detail should the preparer give about the review pattern?
Reveal model answer →

A risk committee uses a scoring model to decide which climate threats get attention first. The model gives extra weight to operational disruption and legal exposure, and anything above a set score goes into the top tier, but the draft only says the committee prioritises material matters.

QWhat should the preparer explain about the way climate risks are sorted and filtered?
Reveal model answer →
Framework references

Related framework references

How this disclosure maps across the major reporting frameworks.

IFRS / ISSB
s2-25-a
within IFRS-S2: IFRS S2 - Climate-related Disclosures
Open official source →
Primary
Related & explore
FAQ

Questions this page answers

How do I use the s2-25-a page to draft the disclosure from scratch?+
What data do I need to collect for s2-25-a before I can write the disclosure?+
How should I decide the boundary and source systems for s2-25-a data?+
Who should own the s2-25-a disclosure process in practice?+
What should go into the evidence pack for s2-25-a assurance readiness?+
What are the common mistakes to avoid when preparing s2-25-a?+
How do I use the Prep & Assurance workbook for s2-25-a?+
What can I take from the printable Library Card PDF for s2-25-a?+
Can I use the synthetic example on the s2-25-a page as a template for my own disclosure?+
How does the ESRS E1 correspondence help me with s2-25-a data?+
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