{"id":12188,"date":"2023-10-11T09:00:00","date_gmt":"2023-10-11T09:00:00","guid":{"rendered":"https:\/\/iqeq.com\/?p=12188"},"modified":"2023-10-10T16:48:39","modified_gmt":"2023-10-10T16:48:39","slug":"demystifying-sfdr-lessons-learned-from-the-first-reporting-cycle","status":"publish","type":"post","link":"https:\/\/iqeq.com\/insights\/demystifying-sfdr-lessons-learned-from-the-first-reporting-cycle\/","title":{"rendered":"Demystifying SFDR: Lessons learned from the first reporting cycle"},"content":{"rendered":"
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Since the EU\u2019s Sustainable Finance Disclosure Regulation (SFDR) first came into force in March 2021, we\u2019ve been <\/strong>keeping readers informed<\/strong><\/a> of regulatory updates and industry progress, and we are marking yet another SFDR milestone with this article. <\/strong><\/p>\n

EU firms and those non-EU firms that have marketed to EU investors under National Private Placement Regimes (NPPR)<\/a> were required to produce SFDR periodic disclosures for in-scope funds with a 31 December 2022 year-end. This first formal reporting cycle ended on 30 June 2023\u2014but we haven\u2019t reached the journey’s end.<\/p>\n

In this post, we\u2019ll explore the critical learnings we\u2019ve taken from the first full year of formal SFDR disclosures. We\u2019ve helped dozens of clients (and counting) navigate their SFDR disclosures, and the takeaways we\u2019ve gleaned are sure to prove helpful as we round the corner into another year and beyond.<\/p>\n

Don\u2019t make these common mistakes<\/h2>\n

The June 2023 milestone is significant because the SFDR Regulatory Technical Standards (RTS) became effective on 1 January 2023. Unlike 2021 year-end, when disclosures were made on a best-effort basis, 2022 year-end disclosures had to comply with the RTS in their entirety.<\/p>\n

During this first formal reporting period, we noticed two common mistakes:<\/p>\n