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The Australian Accounting Standards Board (AASB) has released new educational guidance to help entities navigate the practical application of AASB S2 Climate-related Disclosures. While the guidance does not introduce new requirements, it provides clarity on how to apply judgement when determining material climate-related risks and opportunities (CRROs), and how to present decision useful information to primary users.
To help organisations get started, this article unpacks the guidance into three practical buckets:
Understanding materiality is the foundation of climate-related reporting. Aligned with financial reporting, materiality should be assessed from the perspective of primary users, defined as existing and potential investors, lenders and creditors. These are the users whose decisions may be influenced by climate-related exposures.
Similarly, AASB S2 adopts the same definition of material information used in financial reporting: “Information is material if its omission, misstatement or obscuring could reasonably be expected to influence primary users’ decisions.”
This alignment is intentional as entities must ensure connectivity between financial statements and climate disclosures, particularly where climate risks have financial effects, such as impairments, provisioning, and expected credit losses.
The guidance clarifies that if information is material, it must be disclosed even if it is not explicitly listed in the standard; conversely, if a listed disclosure requirement is not material, it need not be provided. As a result, climate reporting cannot be treated as a tick‑the‑box exercise. Entities are required to apply judgement and provide sufficient context to enable primary users to understand information that could influence their decisions.
Primary users include both existing and potential investors, lenders and creditors, meaning materiality cannot be assessed solely by reference to current capital providers.
Material information is that which could reasonably influence an investor’s decisions or assessment of the entity’s prospects, including matters investors may perceive as significant, even where the entity concludes the financial impact is limited. For example, where investors expect exposure to flood risk, disclosure explaining why the entity is not materially exposed may itself be material, as it can alter investor understanding and decision‑making.
Materiality is not static, and entities must reassess materiality judgements:
This reflects and captures the fast- evolving nature of climate-related risks.
To start applying materiality effectively:
AASB S2 requires entities to disclose climate-related risks and opportunities that could reasonably be expected to affect their cash flows, access to finance or cost of capital. This section of the guidance explains the sources of those risks and opportunities and how entities should identify them.
AASB S2 defines the value chain broadly: operations, suppliers, distribution channels, financing environment, and end-of-life stages.
Entities must consider CRROs arising anywhere along this chain, including through indirect interactions like supplier exposures to drought and customer exposures to transition risks.
Importantly, entities are only required to use reasonable and supportable information available without undue cost or effort. This proportionality mechanism helps avoid over-scoping.
The guidance emphasises that climate-related risks and opportunities arise from how the entity:
Understanding this interdependence enables entities to identify financially exposed areas of the business model.
Individual CRROs appear small on their own, but their combined effect may create a level of exposure that is material to primary users. Assessing CRROs in aggregate helps reveal concentrations of vulnerability.
Entities must disclose material information about climate-related risks and opportunities that primary users could reasonably expect to affect financial prospects over time. To determine what is material, this assessment must not only consider management’s view, but also the expectations of investors, lenders and creditors. This means that a risk may not be financially material to you, yet information about it may still be material if primary users expect exposure for entities in your industry.
To identify decision‑useful information on CRROs:
Once relevant CRROs are identified, the next step is to clearly and effectively communicate the material information related to them.
AASB S2 requires entities to assess materiality using a blend of quantitative (financial impact, emissions magnitude, asset exposure) and qualitative factors (industry context, business model, location, stakeholder expectations).
Quantitative information enhances credibility and allows primary users to assess scale and financial relevance.
The guidance warns against obscuring material information through:
Climate disclosures must be clearly identifiable, connected to financial impacts, and organised for ease of understanding.
Entities may omit commercially sensitive disclosures for climate-related opportunities and must state that they applied the exemption. This omission does not apply to climate-related risks, preventing the withholding of financially relevant risk information.
When preparing disclosures:
If your organisation is preparing for the climate reporting mandate, the AASB’s guidance offers a clear pathway:
Climate reporting under AASB S2 isn’t simply about compliance, it’s about demonstrating resilience and clarity in a rapidly changing environment.