In this second of our six deep-dive guides into the FCA’s sustainability disclosure requirements, we’re looking at the naming and marketing restrictions that the FCA propose to introduce to investment products marketed to retail investors that do not qualify for a sustainable investment label.
Please click here to access our deep-dive guide to the naming and marketing rules.
In the coming weeks and months, look out for more in our series of deep-dive guides covering:
- Consumer facing disclosures;
- Product and entity level disclosures;
- Anti-greenwashing rule; and
To access our previous guide to investment labels, please click here.
To learn more about the FCA’s SDR, please check out our recent print and keep guide about the proposed SDR, and our one-page table which sets out the key information firms need to know about each of the proposals.
For more information on the implementation of UK SDR, Cleveland & Co External in-house counsel™, your specialist outsourced legal team, are here to help.