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GRI 201: Economic Performance · 2016
Disclosure GRI 201-2

Financial implications and other risks and opportunities due to climate change

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 GRI source.

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

This disclosure asks an organisation to explain how climate change could affect its finances and wider business position, and what that means in practice. The focus is on identifying the main risks and opportunities, describing their likely effects, and showing how the organisation has assessed them rather than simply stating that climate change is relevant.

In practical terms, the reporting should look across the organisation’s activities, not just a few headline sites or projects. The useful question is whether the assessment covers the parts of the business that could be materially affected, and whether it reflects both downside risks and any potential opportunities, with enough detail for a reader to understand the scale and nature of the impact.

This LRA educational guidance supports disclosure preparation. For the exact requirements, always refer to the official GRI 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
Financial modelling system Whether a process or tool exists that can turn the climate issue into money terms, including cost estimates or revenue forecasts. Model documentation, calculation workbook, system screenshots, or finance methodology note. Finance
Model build plan The plan and timetable for putting in place the system that will calculate costs or revenue effects, including key milestones and delivery dates. Project plan, implementation roadmap, budget approval, or IT/finance delivery tracker. Finance
Climate financial exposure The money value of climate-related risks and opportunities that could materially change operations, turnover, or spending. Risk register, scenario analysis, business case, or finance impact assessment. Risk
Risk type and description A plain description of the issue and whether it is a physical, regulatory, or other type of climate-related risk or opportunity. Risk register entry, taxonomy mapping, or assessment note showing the classification used. Risk
Business impact description A description of how the risk or opportunity affects the business in practice, such as operations, sales, costs, or assets. Impact assessment, scenario analysis output, or risk committee paper. Risk
Pre-action financial effect The expected financial effect before any response or mitigation is applied, stated separately from the effect after action. Baseline scenario, sensitivity analysis, or finance memo showing gross impact before mitigation. Finance
Risk response methods The methods the organisation uses to deal with the risk or opportunity, such as avoidance, reduction, transfer, adaptation, or other response measures. Risk treatment plan, control register, adaptation plan, or management action log. Risk
Response costs The money spent on the actions used to manage the risk or opportunity, with the relevant period and scope clearly identified. Capex/opex records, project spend report, purchase orders, or cost centre extracts. Finance
+ Show GRI 201-2 sub-elements (LRA working checklist)

How to prepare it

1Set the reporting boundary first. Decide which business units, sites, time periods and climate-related matters you will include, so the same scope is used for every figure and narrative in this disclosure.
2Agree the definitions you will use for each item. Make clear what counts as a climate-related risk or opportunity, how you will classify it, and what you will treat as the related impact, before-action financial effect, response method and action cost.
3Gather the source material behind each entry. Pull together finance papers, risk registers, project files, budgets, forecasts and management papers that support the amounts, descriptions and classifications you plan to report.
4Build the disclosure from the evidence. Provide the required amounts where a number is needed, and write concise supporting text for the nature of the issue, the effect on the business, the pre-action financial effect and the way it is being managed.
5Record any gaps, exclusions or changes in approach. If you are not yet able to calculate the financial effect or revenue outlook, note the development plan and timing, and explain any boundary or method changes so the reader can follow the basis of preparation.
6Check the final draft against the source material. Confirm that each required item is covered, the figures tie back to evidence, the wording matches the underlying records, and the completed disclosure aligns with the official reporting source before sign-off.
Request the data

Request climate-risk financial evidence from Finance

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

What climate-related risks or opportunities could change our costs, income, or operations, and what evidence do we have for the amounts, assumptions, and actions behind them?

Use your team’s own labels first, then map them to the disclosure. For example, if you track this through budget, forecast, scenario, capex, opex, or risk registers, keep those internal terms in the request and only translate them afterwards for reporting.

Weak request

Please provide the climate change disclosure data for GRI 201-2, including all financial implications, risks, opportunities, and management actions.

Why it fails: It uses framework language instead of the organisation’s own finance terms, so the owner has to translate the ask before they can respond. It also does not say which systems, periods, boundaries, assumptions, or evidence files to pull, so the response is likely to be incomplete or inconsistent.

Better request

Please send the latest finance pack, risk register entries, and any scenario or investment files for climate-linked items that could change costs, revenue, capex, or opex in [period] for [boundary]. Include the internal label, amount before and after action if tracked, assumptions, action taken, action cost, and the source file or extract.

Formal email template
Subject: Request for climate-related financial evidence for [reporting period]

Dear [name/team],

We are preparing the sustainability reporting pack and need your help with the climate-related financial evidence for [business area / entity]. Please share the figures and supporting notes for any climate-linked risks or opportunities that could affect costs, revenue, capex, opex, or other financial lines.

Please include:
- the relevant internal category name(s)
- the financial amount(s) and whether they are before or after any action taken
- the main assumptions used
- the method or action used to manage the item
- the cost of any action already taken
- the source file or system extract
- the period and boundary covered
- the name of the person who prepared and checked the information

If you already track this in a budget, forecast, risk, or investment file, please send the latest version and a short note explaining how it should be read. Please use your own internal terms first, then we will map them for reporting. This is a possible LRA training template only; please adapt it to your organisation and check the official source before sign-off.

Many thanks,
[preparer name]
Short Teams / Slack version
Hi [name/team] — could you send the latest climate-related finance evidence for [business area/entity]?

We need the amounts, assumptions, actions taken, and any source file for items that could affect costs, revenue, capex, opex, or other lines. Please use your internal labels and include the period, boundary, and owner/checker. Thanks — [preparer name]. This is a possible LRA training template only; please adapt it to your organisation and check the official source before sign-off.
Industry examples
Manufacturing

Context. A plant team tracks weather disruption, energy price exposure, and retrofit projects in separate files.

Adapted request. Please share the latest plant-level files for climate-linked items that could affect production cost, downtime, maintenance spend, or sales at [site] for [period]. Include the internal risk name, estimated financial effect, assumptions, mitigation action, and the cost of any retrofit or resilience work already approved.

Example response. The team returns a capex tracker, a maintenance risk log, and a short note showing that heat-related downtime is tracked as an operational risk, with estimated cost impact, assumptions on lost output, and the spend already committed to cooling upgrades.

Retail / Consumer

Context. A trading and property finance team monitors flood exposure, store closures, insurance changes, and demand shifts.

Adapted request. Please send the latest trading and property finance evidence for climate-linked items that could change rent, repairs, insurance, stock loss, or sales at [region / estate] for [period]. Use your internal labels and include the forecast impact, the action taken, and any cost already incurred for resilience or relocation work.

Example response. The team provides a forecast workbook, an insurance renewal summary, and a property risk note showing flood exposure by store cluster, estimated revenue at risk, and the cost of drainage and fit-out works already completed.

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

Describe the basis used to identify climate-related matters, how you distinguish physical, regulatory and other business drivers, and how you estimate the related financial effects and response costs.

Context note

Explain what the figures mean for the business by linking each climate-related matter to the part of the organisation it could affect, the scale of the possible effect, and the actions already taken or planned.

Fluctuation statement

If the numbers move materially, note whether this is due to new issues being identified, changes in the estimated size of the effect, progress in building the assessment process, or different response costs.

Content index entry
GRI 201-2 Financial implications and other risks and opportunities due to climate change — [location / page] / [notes]
Download Centre

Preparation tools & forms

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Assurance readiness

For each claim, check the evidence

ClaimRiskEvidence to check
We have a documented method for turning the disclosed risk or opportunity into a monetary estimate or revenue view, and we can show how that method was applied.The assurer may find that the figure was based on judgement alone, with no repeatable calculation approach or no clear link between the method and the published number.Method note or model description; calculation files; assumptions log; source data; version history; reviewer sign-off showing the method was used consistently.
Where we are still building the calculation approach, we have a dated plan that sets out what will be developed, by whom, and when.The assurer may conclude that the plan is vague, not approved, or not realistic, so the reported readiness is overstated.Project plan or roadmap; milestones and target dates; ownership assignments; steering or management approvals; progress updates against the plan.
We identified the climate-related matters we believe could materially affect our operations, income, or spending, and we kept the basis for that judgement on file.The assurer may challenge whether the selected matters were complete, relevant, or assessed using a consistent threshold.Risk register; materiality or significance assessment; workshop notes; scenario or risk assessment outputs; management review records.
For each matter we disclosed, we recorded what type of issue it is and kept a short explanation of why we placed it in that category.The assurer may find the classification inconsistent, unsupported, or applied differently across similar items.Classification matrix; narrative write-ups; internal guidance used for categorisation; cross-checks between similar risks or opportunities; reviewer comments.
We documented the expected effect on the business for each item, using the same basis across the set of disclosures.The assurer may see that impacts were described qualitatively in some places and quantitatively in others without a clear rationale, or that the impact statement does not match the underlying evidence.Impact assessment papers; supporting analysis; links between the narrative and source data; internal challenge notes; consistency check against the risk register.
Before any response or mitigation was applied, we estimated the likely financial effect and kept the working papers behind that estimate.The assurer may question whether the estimate reflects the position before action, whether the assumptions are reasonable, or whether the calculation is traceable.Pre-action estimate model; assumptions and sensitivities; source data; dated working papers; evidence showing the estimate predates mitigation effects.

Evidence pack to prepare

Common reporting gaps

Figures are stated without the supporting narrative, or narrative without figures.Scope is inconsistent between the text and the numbers.The reporting boundary is left undefined.Material changes since the previous period are not disclosed.Estimates and measured values are not distinguished.Source records for the figures are not identified.
Common gaps

Mistakes to avoid when collecting the data

Wrong owner
The request goes to the sustainability lead alone, even though the figures and narrative sit with finance, risk, operations, and the team managing climate actions.
Framework language only
People ask for the data using disclosure jargon, so the business teams cannot map it to their own cost centres, project names, or risk registers.
Scope left vague
The team never states which sites, business units, or climate-related matters are in scope, so different contributors send numbers for different populations.
Period basis mixed up
One source uses the current reporting year while another uses a forecast or project timetable, and the pack combines them without saying which timing basis applies.
Counting bases blended
Actual spend, planned spend, and estimated exposure are put into one total, which makes the financial picture impossible to trace back to the source records.
Source labels lost
The original file names, register IDs, or system references are stripped out during consolidation, so no one can trace a figure back to the record it came from.
Separate groups merged
Physical events, policy-driven changes, and other climate-related matters are rolled into one list, even though they need to stay distinct for review and explanation.
Evidence trail missing
The pack reaches sign-off without the supporting notes, version history, and approver names, so reviewers cannot see who checked what and when.

Where judgement is often needed

Setting the reporting perimeter after a buy or sell transaction
Use the same business perimeter you apply for the rest of the report, and explain any mid-year additions or exits so readers can see whether the climate-related amounts sit inside the current group or only part of the year.
Choosing which country rule set to use when local definitions differ
Where local legal or operational definitions do not line up across markets, pick one consistent internal basis for the climate-related figures and describe the basis you used so the same issue is treated the same way across the group.
Deciding whether a borderline issue is close enough to include
If a risk or opportunity sits near your internal cut-off for inclusion, make a clear judgement on whether it could lead to a material shift in operations, income, or spend, and state the threshold or screen you applied.
Separating climate-driven effects from wider business movements
When the same cost or revenue movement has both climate and non-climate drivers, isolate the climate-linked portion where you can and explain the allocation method if you have used an estimate.
Using forecast models versus hard numbers
If the amount is based on a model, scenario, or management estimate rather than observed results, say so and describe the main assumptions, the time horizon, and any known limits on precision.
Picking the timing basis for the amount reported
Be explicit about whether you have used the year-end position, the full-year effect, or another cut-off date, and keep that timing basis consistent for the related narrative and figures.
Handling small amounts that round to zero
Apply one rounding approach across the disclosure, and if a figure rounds away to zero while still being relevant to the story, note the underlying scale or range so the omission is not misleading.
Aggregating sensitive site or customer information
Where a detailed breakdown could expose confidential location, customer, or asset data, group the figures at a higher level and explain the aggregation choice while keeping the climate-related financial effect understandable.
Examples

Illustrative examples

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

Illustrative (synthetic) example — Manufacturing

*Synthetic example for illustration only.* We already have a process that estimates climate-related effects on earnings, cash outflows and sales, and we use it for our annual planning cycle. - The main issues we track are flood disruption at two sites, tighter carbon rules on process heat, and a chance to win lower-emission product contracts; we classify these as physical, regulatory and other business risks/opportunities. - Before any response measures, we estimate a downside of £18m in extra costs and lost margin over three years, and an upside of £9m in added revenue from new contracts. - We manage these through site hardening, energy-efficiency upgrades and customer engagement; the actions taken so far have cost £4.2m, and we plan to extend the model to a fuller scenario set by Q4 2026.

This synthetic disclosure shows a reporter that already has a climate-finance estimation process in place, while also signalling a planned enhancement timetable. It covers the nature of the climate issues, how they are grouped, the expected effect on the business, the unmitigated financial exposure, the response methods, and the spend on those responses.

Illustrative (synthetic) example — Retail and distribution

*Synthetic example for illustration only.* We do not yet run a fully integrated tool for climate-linked financial estimates, but we do have a manual process for selected sites and product lines. - Our current focus is heat stress affecting warehouse labour, storm damage to delivery routes, and demand growth for low-carbon products; we treat these as physical, physical and other business opportunities. - On a pre-action basis, we estimate £6m of extra expenditure and £3m of foregone sales, alongside a possible £5m revenue uplift from greener ranges. - We are addressing these through roof reinforcement, route redesign and supplier switching; the actions have cost £1.8m so far, and we expect a full system with regular forecasting by the end of 2027.

This synthetic disclosure shows a reporter that only has a partial process today, with a clear timetable to build a fuller capability. It still covers the climate issues being watched, their classification, the expected operational and financial effect, the unmitigated exposure, the management approach, and the cost of the actions already taken.

Company reports

How companies report GRI 201-2

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

Abertis
Ground Transportation — Highways and Railtracks · Spain · 2024
Open report →
Abertis’ 2024 Annual Report provides several covered datapoints relevant to the disclosure, including a financial capacity statement related to goodwill impairment testing on page 321 and monetary values linked to renewable energy technologies and climate risk assessments on pages 132 and 134 respectively. The report details systems utilising renewable energy technology in infrastructure maintenance (p.132) and mentions a physical climate risk assessment conducted in the prior year (p.134). However, key narrative items (a-i to a-iii) and certain monetary values (a-v) are not found, and the methodology or narrative for item (a-iv) remains unclear.
Qisda Corporation
Technology Hardware and Equipment · Taiwan · 2024
Open report →
Qisda Corporation's 2024 ESG Report includes some coverage of financial implications related to climate change, with a specific monetary value reported on page 229. The report also discusses operational costs and competitiveness linked to establishing an ISO 50001 management system on page 28. However, several narrative items and monetary values related to climate risk disclosure are missing or unclear, with no quotable evidence found for key narrative elements and some monetary values.
REN - Redes Energéticas Nacionais, SGPS, S.A.
Water Utilities · Portugal · 2025
Open report →
REN’s 2025 Integrated Report includes detailed financial information such as revenue measurement at fair value, net of taxes and discounts (p.479), and specific monetary values related to costs and interest expenses (p.446). The report also references climate-related impacts and risks within a double materiality analysis (p.635) and provides an overview of the company’s activities and strategy (p.15). However, there is no clear narrative on methodology or certain narrative items, and some monetary values related to specific disclosures are not found or remain unclear.
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Check your understanding

Scenarios to work through

A preparer has a climate risk register, but the finance team only tracks likely spend on adaptation projects and has not built a way to estimate how weather-related disruption could affect sales or costs across the business. The team is deciding whether this counts as enough for the disclosure.

QShould the response say there is a system in place for turning climate-related effects into financial estimates, or should it say that work is still needed?
Reveal model answer →

A business has approved a project to build a climate scenario model next year. The budget is £120,000, with £40,000 planned for this year and £80,000 for next year, but the project has slipped and no model is yet live.

QHow should the preparer present the plan and timing for building the estimating system?
Reveal model answer →

A manufacturer has identified two climate-related matters that could change future results: hotter summers may raise cooling costs by £300,000 a year, and a new carbon charge could add £500,000 a year in compliance spend. The finance team is unsure whether to describe both, and how to label them.

QWhich matters should be included, and how should they be described so the reader understands what kind of issue each one is?
Reveal model answer →

A retailer has a flood exposure that could interrupt deliveries and cause £250,000 of lost sales if nothing is done. It has already spent £70,000 on raised storage and backup logistics, and expects those measures to cut the loss to £80,000.

QWhat should the preparer explain about the issue, the effect, the pre-action financial exposure, the response taken, and the cost of that response?
Reveal model answer →
Framework references

Related framework references

How this disclosure maps across the major reporting frameworks.

GRI
GRI 201-2
within GRI 201: Economic Performance
Open official source →
Primary
Related & explore
FAQ

Questions this page answers

For GRI 201-2, what data do I need to gather before I start drafting the disclosure?+
How do I use the step-by-step 'how to prepare' section for GRI 201-2 in practice?+
What should I include in the evidence pack for GRI 201-2 if I want to be assurance-ready?+
What are the six assurance claims on the GRI 201-2 page and how should I use them?+
What common mistakes does the GRI 201-2 page warn me to avoid?+
How can I turn the GRI 201-2 data into a draft disclosure quickly?+
What is the best way to assign ownership for the GRI 201-2 disclosure across ESG, finance and data owners?+
How do I decide the scope and methodology for the GRI 201-2 disclosure using this page?+
What should an assurance reviewer look for in the GRI 201-2 evidence pack?+
How do I use the synthetic example disclosures on the GRI 201-2 page without copying them blindly?+
Can I reuse the same data for GRI 201-2 and ESRS E1 (Climate Change)?+
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