Greenwashing - Complyport - Your Trusted Partner in Governance, Risk, Compliance & Technology https://complyport.com Compliance Leadership Thu, 26 Feb 2026 22:12:31 +0000 en-GB hourly 1 https://wordpress.org/?v=6.5.8 https://complyport.com/wp-content/uploads/2021/01/cropped-favicon-32x32.png Greenwashing - Complyport - Your Trusted Partner in Governance, Risk, Compliance & Technology https://complyport.com 32 32 The FCA Implements Finalised Guidance on Anti-Greenwashing Rule as May 2024 Deadline Takes Effect https://complyport.com/the-fca-implements-finalised-guidance-on-anti-greenwashing-rule-as-may-2024-deadline-takes-effect/?utm_source=rss&utm_medium=rss&utm_campaign=the-fca-implements-finalised-guidance-on-anti-greenwashing-rule-as-may-2024-deadline-takes-effect Mon, 03 Jun 2024 13:38:32 +0000 https://complyport.com/?p=25886 As of 31st May 2024, all authorised firms must comply with the Anti-Greenwashing Rule enforced by the Financial Conduct Authority (“FCA”). The FCA published its finalised guidance (FG24/3) last month […]

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As of 31st May 2024, all authorised firms must comply with the Anti-Greenwashing Rule enforced by the Financial Conduct Authority (“FCA”). The FCA published its finalised guidance (FG24/3) last month with the new Anti-Greenwashing Rule being part of the FCA’s wider Sustainability Disclosure Requirements (“SDR”) package. In the guidance published on 23 April 2024, the FCA set out how to interpret and implement the new rule. Importantly, this non-Handbook guidance came into force at the same time as the anti-greenwashing rule itself (31 May 2024).

The Anti-Greenwashing Rule

The FCA introduced the Anti-Greenwashing Rule to protect consumers from misleading sustainability claims. The Rule, per ESG 4.3.1R will require all regulated firms to ensure that the naming and marketing of financial products and services in the UK is not only clear, fair and not misleading but also consistent with the sustainability profile of the product or service, i.e., proportionate and not exaggerated. Firms should already be ensuring the information they communicate to clients is clear, fair and not misleading under PRIN 2.1, Principle 7 and COBS 4.2.1.

 

Application of the Rule

The Rule applies where a firm (regardless of jurisdiction) communicates with a client in the UK in relation to a product or service. For financial promotions, it will apply where firms communicate to or approve a promotion to a person in the UK.

 

Claims should be correct and capable of being sustained

Firms must ensure that their statements are based on facts. Firms should not state or suggest features of a product or service that are not fundamentally true. Further, it is important not to overemphasise or inflate the sustainable qualities or positive environmental and/or social impact. Any descriptions provided should accurately reflect the actual sustainable features of the product or service. Where claims offer inconsistent or conflicting details, this may confuse and deceive consumers. It is essential for firms to regularly review their claims and any evidence that supports them. This means that this should form part of the firms ongoing monitoring process.

 

Claims should be clear and presented in a way that can be understood

The claims firms make should be transparent and straightforward and firms should consider whether the meaning of all the terms would be understood by the intended audience. For example, technical language may be difficult to understand, so firms should consider whether any technical terms could be explained or clarified for the intended audience to avoid any confusion, unless their meaning is clear and widely understood. Note that whether a term is widely understood is largely a subjective test and firms should employ a risk-based approach here. Consider including a description via asterisk for example. The use of broad terms or general statements may be also unclear and confusing and should be avoided.

 

Claims should be complete and should not hide or omit information

Claims should give a full and representative picture of the product or service. Firms should not omit or hide important information that could negatively affect consumer choices. Attempts to conceal or skew information will breach the new rule. If certain conditions must be met for the claims to be valid, this information should be stated explicitly. Similarly, any constraints or restrictions related to the information, data or metrics featured in a claim should be highlighted to the consumer.

 

Comparisons should be fair and meaningful

When firms make comparisons between their product or service and those of any competitors, or even the firm’s own previous products and services, those claims must be capable of being substantiated. Comparisons should enable the audience to make informed choices about the products or services. Claims comparing the sustainability characteristics of products and services should make clear what is being compared, how a comparison is being made and should compare ‘like with like’ in order to be fair and meaningful.

It is expected that this will not be the last publication from FCA on Anti-Greenwashing or SDR as it continues to roll out the rest of its wider SDR and ESG strategy offering. It is paramount that firms have adequately prepared for the fast-approaching 31 May deadline. With increasing supervision and enforcement against non-compliant financial promotions and bad practices, it is crucial that firms get this right. At Complyport, we can offer our expertise to review and assess your readiness for the incoming rule alongside wider ESG compliance. We provide expert advice on implementation and can help draft your internal ESG policies and procedures to ensure your firm stays compliant.

To learn more about these rules and how they affect your firm, register for our upcoming FREE webinarGreen Claims to Genuine Practices: Understanding the FCA’s 2024 ESG and Greenwashing Regulations

Register Now

 

How Complyport can help:

Having to navigate the ever-evolving SDR landscape within the financial services sector can be time-consuming. With the Anti-Greenwashing rules now in force, our consultants offer a tailored and flexible approach to ensure your firm is prepared. We offer:

  • Financial Promotions Reviews
  • Implementation Guidance and Advisory services
  • SDR/ESG Readiness Assessments
  • SDR/ESG Review against categories
  • Policy and procedure updates
  • Ongoing support for any questions regarding the new regulations
  • SDR/ESG Training

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Webinar: Green Claims to Genuine Practices: Understanding the FCA’s 2024 ESG and Greenwashing Regulations https://complyport.com/event/webinar-green-claims-to-genuine-practices-understanding-the-fcas-2024-esg-and-greenwashing-regulations/?utm_source=rss&utm_medium=rss&utm_campaign=webinar-green-claims-to-genuine-practices-understanding-the-fcas-2024-esg-and-greenwashing-regulations Wed, 03 Jul 2024 10:30:00 +0000 https://complyport.com/?post_type=tribe_events&p=25864 Transparency, honesty, and sustainability are not just buzzwords but indispensable to the UK financial market this year. With the Financial Conduct Authority (FCA) anti-greenwashing rules coming into effect on 31st […]

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Transparency, honesty, and sustainability are not just buzzwords but indispensable to the UK financial market this year. With the Financial Conduct Authority (FCA) anti-greenwashing rules coming into effect on 31st May 2024, the expectations around sustainable finance is undergoing a significant shift. Our upcoming webinar will unravel the implications of the new regulations, discuss actionable strategies for the impending December deadlines, and provide a comprehensive understanding of the Environmental, Social and Governance (ESG) market in 2024.

This year will see everything from products, promotions, and sustainability claims come under the green microscope. The broader implications of the new Sustainable Disclosure Requirements (SDR) regime and anti-greenwashing rule demands that the financial sector uphold the highest standards of integrity in sustainability.

This transformative period calls for a proactive approach to ensure that all market participants adhere to the principles of genuine sustainability.

 

Who is this webinar for?

Our webinar is desgined for all financial industry professionals to gain clarity on the SDR and strategise their compliance. As we work with these changes, the webinar will also explore the opportunities that arise from a more transparent ESG market, where green finance is not just a promise, but a practice.

 

Join us to delve into:

  1. The FCA’s anti-greenwashing rules;
  2. Reducing the risk of a greenwashing probe; and
  3. Preparing for the SDR regime and sustainable finance, beyond the webinar.

Details:

Date: 3rd July 2024

Time: 11.30am

Platform: Zoom – Live Online

Duration: 30 minutes

Price: Free

 

Speakers

Nicola Christofides, Assistant Director 

Nicola Christofides, Assistant Director of Complyport brings over 18 years of experience in Financial Services Regulation and Compliance

Prior to Complyport, Nicola worked at Barclays where she was a Senior Director in Compliance and Financial Crime leading large global teams specialising on Senior Managers Regime, Risk, Reporting and Governance. Nicola also had a long career at the Financial Conduct Authority (FCA) working in a number of departments including Policy, Enforcement and Authorisations, with her last role heading up the Governance for the FCA, working closely with the ExCo and the Board.

Ashlie Queyrel Assistant Consultant

As an Assistant Consultant in the Financial Crime and Operational Resilience team at Complyport, Ashlie Queyrel brings a wealth of knowledge to the table. With a dedicated focus on supporting a range of clients across the indsutry and keeping them up to date with the latest market issues, she offers comprehensive insights for firms navigating the demands of ESG.

Click the button below to book a virtual seat.

Book a Seat

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