News and developments
Developments in sustainability and corporate governance disclosure in Japan
On June 13, 2022, the Working Group on Corporate Disclosure of the Financial System Council, an expert council established under the Financial Services Agency of Japan (the “Working Group”), published its report (the “Report”) regarding the proposed reformation of the corporate disclosure obligations of Japanese listed companies [1]. In the Report, the Working Group proposed (i) the strengthening of non-financial disclosures, including sustainability and corporate governance information, (ii) the revision of the quarterly disclosure system and (iii) the promotion of English language disclosures and other matters. In the months ahead, the Working Group will further discuss the forthcoming detailed rules and regulations regarding the corporate disclosure reformation based on the framework formulated in the Report. After the reformation, it is expected that an Annual Securities Report (“ASR”) or other periodical report issued by a Japanese listed company under the Financial Instruments and Exchange Act of Japan (the “FIEA”) will be required to contain detailed sustainability and corporate governance information.
Changes to Non-Financial Disclosures – Sustainability and Corporate Governance Disclosure
As seen in Europe, the United States and other countries, the Japanese Government has also been discussing the importance of non-financial disclosure by listed companies. Amid the situation where more and more domestic and foreign investors put greater emphasis on non-financial disclosures to make their investment decisions, the Working Group has discussed ways to enhance non-financial disclosures in Japan to cope with the increased demand.
Revision of the Quarterly Disclosure System
Under the current disclosure regime in Japan, each Japanese listed company is subject to quarterly earning release announcement (Shihanki kessan-tanshin) disclosure obligations as required under the listing rules of Japanese stock exchanges, as well as quarterly securities report (Shihanki houkokusho) disclosure obligations required under the FIEA. Such overlapping quarterly disclosure obligations has sometimes been criticized by certain companies and market participants.
In the Report, the Working Group announced that the quarterly securities report disclosure requirements for Q1 and Q3 under the FIEA will be abolished and integrated into the quarterly earning release announcement (Shihanki kessan-tanshin) under the listing rules of the stock exchanges. The Working Group will continue its discussions on issues related to the integration of such quarterly disclosures, such as the content of disclosure, enforcement against false statements and review by audit firms.
Promotion of English Language Disclosures and Other Matters
In the Report, the Working Group also mentioned the importance of English language disclosure by Japanese companies to promote active investments by foreign investors. The Report clearly stated that the companies listed on the “Prime Market” of the Tokyo Stock Exchange are expected to proactively disclose an English version of the ASR, especially the risk factors, MD&A, corporate governance and status of shareholding sections. Based on the recommendation by the Working Group, it is expected that the FSA will publish a list of companies that disclose an English version of their ASR.
Furthermore, the Working Group pointed out the necessity of enhanced disclosure of material contracts entered into by a listed company that grants control of the listed company’s corporate governance to certain shareholder, or that restricts the transfer of shares. Based on the Report, it is also expected that greater disclosure of financial covenants of loans and bonds will be included in the revision of the relevant ordinance.
Conclusion
In the months ahead in 2022, the Working Group will further discuss the detailed rules and regulations regarding the corporate disclosure reformation based on the framework formulated in the Report. Although the specific schedule for the revision is not clear, according to the Japanese Government’s Action Plan, the revision of the relevant ordinance is expected to be made by the end of this year, and the Government aims to start the enhanced non-financial information disclosure from the ASR for the fiscal year ending March 2023 at the earliest. With respect to the revision of the quarterly disclosure system, since such revision requires the amendment of the FIEA, it is expected that the Government will submit a related bill in the next ordinary session of the Diet to be held in 2023.
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September 29 2022
Kyohei Mizukoshi, Partner
+81-3-6889-7673 [email protected]
Kyohei Mizukoshi is a partner at Nagashima Ohno & Tsunematsu. He provides legal services for general corporate matters, including capital market transactions, and advises on aspects of securities regulations. He also specializes in corporate governance and listing rules and regulations of Japanese stock exchanges. He regularly handles cross-border transactions for both Japanese and foreign clients.
[1] An English version of the summary of the Report is available at: https://www.fsa.go.jp/singi/singi_kinyu/tosin/20220613/03.pdf
[2] https://www.ifrs.org/projects/work-plan/general-sustainability-related-disclosures/