IFRS S2 Update Cuts Scope 3 Burden for Banks and Asset Managers

ISSB relaxes IFRS S2 financed emissions reporting, reducing Scope 3 pressure for banks and asset managers.

By SE Online Bureau · December 16, 2025 · 6 min(s) read
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IFRS S2 Update Cuts Scope 3 Burden for Banks and Asset Managers

The International Sustainability Standards Board( ISSB) has introduced targeted  emendations to its climate  exposure standard, IFRS S2, easing reporting conditions for banks, insurers, and asset  directors. The move is aimed at addressing  functional challenges faced by  fiscal institutions in reporting financed emigrations, particularly under compass 3. As global relinquishment of ISSB  norms accelerates, the changes are designed to  save investor-applicable climate  translucency while reducing  gratuitous complexity. 

The  variations come at a time when ISSB, IFRS S2, financed emigrations, compass 3 emigrations, and climate  threat  exposure are  getting central to nonsupervisory and investor  exchanges worldwide. With nearly 40  authorities progressing toward relinquishment or alignment with ISSB  norms, the  emendations seek to  insure that climate reporting remains both practical for preparers and decision-useful for investors. 

Background to the ISSB and IFRS S2 

The ISSB was established by the IFRS Foundation during COP26 in 2021 to develop a encyclopedically  harmonious, investor-  concentrated  birth for sustainability  exposures. Its first two  norms, IFRS S1 covering general sustainability- related  exposures and IFRS S2  concentrated specifically on climate- related  pitfalls and  openings, were issued in June 2023. These  norms aim to bring  community and credibility to sustainability information used in capital  requests. 

As companies began  enforcing IFRS S2, feedback  stressed particular difficulties for  fiscal institutions. Unlike corporates, banks and asset  directors are exposed to emigrations primarily through their backing and investment conditioning rather than their own operations. This made compass 3  order 15 emigrations, which cover financed emigrations, one of the most  grueling  aspects of the standard to apply  constantly. 

Why Financed Emigrations Came a crucial Challenge 

fiscal institutions raised  enterprises that the original compass 3 conditions were too broad and  delicate to operationalise. Calculating emigrations linked to complex conditioning  similar as investment banking,  derivations, and insurance underwriting  frequently involved limited data vacuity and  queried  criterion methodologies. Institutions argued that these challenges risked producing low- quality or inconsistent  exposures, undermining the  veritably  translucency the standard sought to promote. 

In response, the ISSB launched a  discussion  before this time to understand these  enterprises and explore targeted  adaptations. The  emendations  blazoned in December 2025 are the  outgrowth of that process, reflecting a balance between easing reporting burdens and maintaining the integrity of climate- related  exposures. 

Narrowing the compass of Financed Emigrations Reporting 

At the heart of the  emendations is a clearer  description of what must be included in compass 3  order 15  exposures. Under the revised guidance,  fiscal institutions are permitted to limit financed emigrations reporting to emigrations associated with loans and investments they make directly. For asset  directors, this means  fastening on emigrations linked to  means under  operation. 

The ISSB has clarified that certain conditioning fall outside the  obligatory reporting boundary. Emigrations linked to eased conditioning,  similar as investment banking services, are  barred. also, insurance- related emigrations connected to underwriting and reinsurance conditioning are n’t  needed to be bared under IFRS S2. The  emendations also allow  enterprises to  count  emigrations associated with  derivations, an area that had  preliminarily generated significant  query. 

Lesser Inflexibility in Bracket and dimension 

Beyond narrowing compass 3 boundaries, the ISSB has introduced  fresh inflexibility to help institutions align climate reporting with being practices. fiscal institutions are no longer  needed to use the Global Assiduity Bracket Standard when disaggregating financed emigrations. rather, they may apply  volition bracket systems that more reflect their internal  threat  operation and portfolio structures. 

The  emendations also admit differences across  authorities in emigrations  dimension. Companies are now allowed to use Global Warming Implicit values  commanded by original controllers, indeed if these differ from the  rearmost Intergovernmental Panel on Climate Change assessments. Where  authorities bear emigrations  dimension approaches other than the Greenhouse Gas Protocol, those  styles may also be used under IFRS S2. 

Investor Relevance and Data Quality 

ISSB Vice Chair Sue Lloyd described the changes as a  realistic response to real- world  perpetration challenges rather than a dilution of climate ambition. She emphasised that the  thing was to  give timely relief to preparers while conserving the decision-  utility of information for investors. By clarifying boundaries and allowing methodological inflexibility, the ISSB believes institutions can produce  further  dependable and  similar data. 

For investors, the core  ideal of IFRS S2 remains unchanged to  give  sapience into climate- related  pitfalls and  openings that could affect enterprise value. Clearer guidance on financed emigrations is anticipated to ameliorate  thickness across  exposures and strengthen confidence in reported information. 

Global Counteraccusations for Climate Reporting 

The  emendations arrive at a critical moment as controllers around the world integrate ISSB  norms into  public  fabrics. With climate reporting  scores expanding  fleetly, the ISSB is seeking to maintain IFRS S2 as a believable global  birth that can be applied across  requests with varying  situations of readiness. 

For banks, insurers, and asset  directors, the changes offer much-  demanded breathing room. For controllers and investors, they  support the ISSB’s central balancing act advancing global climate  translucency while  icing that reporting conditions remain  commensurate, practical, and aligned with  request realities.

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