Disclosure readiness
3 of 5 frameworks ready to submit
What the numbers say
Each framework below is fed from the same published figures via the UKGBC Appendix B mapping. Hover any framework name for what it is — the only one needing action is SBTi, because Scope 3 exceeds 40% of the footprint.
Tenant emissions covered; 71% on actual data (GRESB-eligible).
Scope 1 & 2 mandatory lines complete; Scope 3 business travel included.
Scope 3 is >40% of the footprint — a reduction target is required.
Footprint + uncertainty band feed the climate-risk disclosure.
Categories 1–3 and 13 mapped; remaining categories at screening only.
SFDR — principal adverse impacts
The SFDR Regulatory Technical Standards (RTS) define a fixed set of principal-adverse-impact (PAI) indicators that EU LPs require for Article 8 and Article 9 strategies. PAI 17 and PAI 18 are the two real-estate-specific indicators in the RTS.
PAI 17 measures the share of a fund's real-estate investments tied to the extraction, storage, transport or manufacture of fossil fuels — the SFDR RTS principal-adverse-impact indicator most likely to flag a fund for exclusion under Article 8/9 strategies.
PAI 18 measures the share of a fund's real-estate investments in energy-inefficient assets — under the SFDR RTS, pre-2021 buildings below EPC A. The number anchors a fund's narrative on transition risk and the credibility of its retrofit plan.
GRESB submission pack
Per-asset workbook: Fund Info banner sheet + Assets data sheet with 16 GRESB columns, attributed by ownership × allocation and provenanced to source ActivityRecords.
The methodology report under the Asset Manager's Reports section is the audit-grade artefact behind every submission — so the figure an LP sees in a GRESB result is the same figure an auditor can reproduce.