Streamlined Energy and Carbon Reporting (SECR); Companies (Directors' Report) and Limited Liability Partnerships (Energy and Carbon Report) Regulations 2018

Scope 3 Emissions Estimator
United Kingdom

Scope 3 emissions estimator with United Kingdom-specific regulatory context, Department for Energy Security and Net Zero (DESNZ); Financial Conduct Authority (FCA) for listed entities expectations, and local emission factor guidance.

GHG PROTOCOL · LIVEv2026.04ESRS E1 · IFRS S2

Scope 3 emissions, documented.
Not just estimated.

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scope3.conf
categories.csv
README.md
01// engagement— GHG Protocol Ch. 3
02entity_name=
03reporting_period=
04currency=
05sector=
08// scope_3_categories— GHG Protocol Table 5.1
09selected=none
★ = typically material for All sectors (median). Missed: cat. 1, 2, 4, 6, 7.
27// materiality_and_exclusions— GHG Ch.6 · ESRS 1.133
Relevance tests performed for each Scope 3 category (GHG Ch.6):
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30
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33
35exclusion.rationale=
Materiality + exclusions (GHG Ch.6 + ESRS 1.133)
38// data_quality_and_sources— GHG Ch.7 · data hierarchy
Data-quality hierarchy applied:
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45data_sources.narrative=
Data quality + sources (GHG Ch.7)
48// intensity_metrics— GHG Ch.9 · ESRS E1-5
49revenue_millions_eur=MEUR
50num_employees=FTE
51prior_year_scope3=tCO2e
52scope1_total=tCO2e
53scope2_total=tCO2e
Intensity metrics (GHG Ch.9 / ESRS E1-5)
56// sector_benchmark— CDP 2023 median · tCO2e/M€
Enter revenue (above) to compare against the All sectors (median) sector median (120 tCO2e/M€).
Sector benchmark · CDP 2023 median
60// sensitivity— ±25% total emissions
Enter activity data to see sensitivity analysis.
Sensitivity · ±25% scenarios
65// risk_warnings— ISSA 5000 / ISAE 3410 · rule engine
Enter activity data to run risk analysis.
Risk warnings · rule engine (ISSA 5000)
70// disclosure_and_conclusion— IFRS S2.29 · ESRS E1-6
Tick disclosure items addressed in FS / sustainability report:
71IFRS S2.29(a)(iii) · ESRS E1-6
72ESRS E1-6(58)
73IFRS S2.29(a)(iv) · ESRS E1-6(62)
74ESRS E1-6(63)
75GHG Protocol Ch.6 · ESRS E1-6(57)
76ESRS E1.45
77ESRS E1-6(54)
78ESRS 1.89
79ESRS E1-4
80ESRS E1-1
81ESRS 1.81
82ESRS 1.133
84prepared_by=
85reviewed_by=
99conclusion.narrative=
Disclosure + conclusion · IFRS S2.29 + ESRS E1-6
awaiting input·0 categories · 2 fieldsEUR·ESRS E1 · IFRS S2
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Scope 3 emissions reporting in United Kingdom: Streamlined Energy and Carbon Reporting (SECR); Companies (Directors' Report) and Limited Liability Partnerships (Energy and Carbon Report) Regulations 2018

The UK's emissions reporting framework sits at the intersection of domestic legislation and international standards. SECR requires large UK companies and LLPs to disclose energy use and associated greenhouse gas emissions in their directors' report, covering Scope 1 and Scope 2 as a minimum. SECR does not mandate Scope 3 disclosure, but the GHG Protocol encourages it, and entities preparing for international investor expectations increasingly include material Scope 3 categories voluntarily. For UK subsidiaries of EU parent companies subject to CSRD, Scope 3 reporting is mandatory under ESRS E1-6, which requires disclosure of gross Scope 3 GHG emissions broken out by material category. The FCA's Listing Rules require premium-listed companies to make disclosures consistent with the Task Force on Climate-related Financial Disclosures (TCFD) recommendations, which include Scope 3 where material. The UK's own Sustainability Disclosure Standards (UK SDS), based on ISSB S1 and S2, are expected to require Scope 3 disclosure when they come into force, with the FCA consulting on mandatory application for listed companies.

Regulatory context: Department for Energy Security and Net Zero (DESNZ); Financial Conduct Authority (FCA) for listed entities

DESNZ publishes the UK's official GHG Conversion Factors annually (commonly called DEFRA factors, as they were historically published by the Department for Environment, Food and Rural Affairs). These factors cover Scope 1 combustion, Scope 2 electricity, and Scope 3 upstream (well-to-tank) emission factors for all major fuels, as well as spend-based emission factors for procurement categories and transport emission factors by mode. The 2024 DEFRA factors are structured in a downloadable spreadsheet with tabs covering fuels, electricity, transport, waste, water, and materials. For Scope 3 Category 1, DEFRA provides spend-based factors by SIC code that allow entities to convert procurement expenditure into estimated emissions. These are less precise than activity-based factors but provide a starting point for entities without supplier-specific data. The UK Emissions Trading Scheme (UK ETS) sets a compliance obligation for large emitters in power generation, industry, and aviation, but does not directly require Scope 3 reporting. However, UK ETS-regulated entities typically have good Scope 1 data, which supports their supply chain partners' Scope 3 calculations. The Environment Agency oversees environmental permits and pollution reporting under the Environmental Permitting Regulations, which include greenhouse gas reporting for permitted installations.

Practical guidance for United Kingdom

UK entities estimating Scope 3 should use DEFRA conversion factors as the primary emission factor source for UK-based activities. For Category 1, DEFRA's spend-based factors (Table 13 in the 2024 dataset) provide emission intensities in kg CO2e per pound sterling of expenditure by sector. For higher-quality estimates, switch to activity-based factors: kWh for energy, tonne-km for transport, tonnes for waste. The UK electricity grid emission factor for 2024 is approximately 0.207 kg CO2e per kWh (location-based), reflecting the UK's progress in decarbonising its grid through offshore wind and nuclear. This is relevant for Category 3 (upstream electricity emissions) and for estimating Category 11 where products consume electricity in use. For transport, DEFRA provides emission factors per vehicle-km and per passenger-km by vehicle type, fuel type, and size category. For business travel (Category 6), use DEFRA's air travel factors which include separate values for domestic, short-haul, and long-haul flights by cabin class, with and without radiative forcing. For employee commuting (Category 7), the Department for Transport's National Travel Survey provides average commuting distances and mode splits by region. For waste (Category 5), DEFRA's waste disposal emission factors cover landfill (with and without methane capture), incineration (with and without energy recovery), composting, and recycling.

Audit expectations

UK assurance providers performing limited assurance over GHG disclosures under ISAE 3410 or ISAE 3000 (Revised) focus on methodology consistency, factor source documentation, and boundary completeness. The FRC's Thematic Review of TCFD Disclosures (published 2023) found that many UK listed companies disclosed Scope 3 figures without explaining which categories were included, which methods were used, or how data gaps were addressed. The FRC expects entities to disclose the percentage of Scope 3 based on actual versus estimated data, and to explain year-on-year movements. For UK entities reporting under both SECR and CSRD (as UK subsidiaries of EU parents), reconciliation between the two frameworks is expected. SECR uses a financial control or operational control consolidation approach, while CSRD follows ESRS boundary rules. Any differences in reported figures between the two should be explained.

United Kingdom-specific considerations

The UK's grid emission factor has fallen from 0.5 kg CO2e per kWh in 2012 to approximately 0.207 in 2024, driven by the growth of offshore wind (which generated 13.8% of UK electricity in 2023) and the phase-out of coal. This trajectory means Scope 3 estimates for categories involving UK electricity consumption will decrease over time if activity levels remain constant. DEFRA updates its factors annually in June or July. Always use the most recent publication year for your reporting period. The UK's transport fleet is transitioning to electric vehicles, with 16.5% of new car registrations being battery electric in 2023 (SMMT data). Adjust employee commuting estimates to reflect EV penetration in your workforce if you have fleet data. The UK publishes separate grid emission factors for Northern Ireland (which is interconnected with the Republic of Ireland grid and has a different generation mix) and for the main GB grid. For entities with operations in both jurisdictions, apply the appropriate regional factor.

Common inspection findings

The FRC's 2023 TCFD thematic review found that 40% of reviewed companies disclosed Scope 3 without specifying which of the 15 GHG Protocol categories were included or excluded from the reported figure.

DESNZ compliance monitoring identified that some SECR reports understate Scope 2 by using the market-based method without disclosing the location-based figure alongside it, which feeds through to incorrect Scope 3 Category 3 calculations by their customers.

The FCA found that several listed companies disclosed Scope 3 estimates with year-on-year decreases that were attributable to methodology changes (switching emission factor databases) rather than actual emission reductions, without disclosing the restatement.

Assurance providers under ISAE 3410 have noted that UK entities frequently omit well-to-tank (WTT) emissions from Scope 3, despite DEFRA publishing WTT factors for all major fuels. Omitting WTT understates total Scope 3 by 10% to 20% for entities with significant fuel consumption.

The Environment Agency identified inconsistencies between emission figures reported under Environmental Permitting and those reported under SECR for the same installations, suggesting errors in one or both reporting streams that would also affect downstream Scope 3 calculations by customers.

Frequently asked questions: United Kingdom

Does SECR require Scope 3 disclosure for UK companies?
No. SECR requires disclosure of Scope 1, Scope 2, and an intensity ratio. Scope 3 is voluntary under SECR. However, the FCA's TCFD-aligned Listing Rules expect premium-listed companies to disclose Scope 3 where it is material, and the forthcoming UK Sustainability Disclosure Standards (based on ISSB S2) are expected to make Scope 3 mandatory for listed entities. UK subsidiaries of CSRD-obligated EU parent companies must provide Scope 3 data for consolidation under ESRS E1.
Which DEFRA emission factors should we use for Scope 3 Category 1?
DEFRA's Table 13 (Indirect emissions from supply chain) provides spend-based emission factors by SIC code in kg CO2e per £. These are appropriate as a starting point for Category 1 estimation. For specific materials or services where you have physical quantity data (kWh of energy, tonnes of material, km of transport), switch to the activity-based factors in DEFRA's other tables, which are more accurate. Always use the factor set matching your reporting period (for example, 2024 DEFRA factors for a 2024 reporting year).
How does the UK ETS interact with Scope 3 reporting?
The UK ETS does not require Scope 3 disclosure, but the verified emission data that UK ETS participants produce for compliance purposes is useful for their customers' Scope 3 calculations. If your supplier is a UK ETS participant, their verified Scope 1 emissions are publicly available through the UK ETS registry. You can use this data to calculate your Category 1 emissions from that supplier more accurately than using generic emission factors.
What grid emission factor should UK entities use for Scope 3?
Use the DEFRA location-based grid emission factor for the reporting year (approximately 0.207 kg CO2e per kWh for 2024). For market-based Scope 2, DEFRA provides a separate residual mix factor. For Scope 3 categories that involve electricity consumption (such as Category 11 for energy-consuming products sold to UK customers), the location-based factor is appropriate unless you have evidence of the specific energy tariff used by the downstream consumer.
Are there UK-specific requirements for Scope 3 in the financial sector?
The Bank of England's Prudential Regulation Authority (PRA) expects banks and insurers to assess climate-related financial risks, which includes understanding financed emissions. The PRA's Supervisory Statement SS3/19 requires firms to embed climate risk in governance, risk management, and scenario analysis. While SS3/19 does not prescribe a specific Scope 3 reporting format, the PRA expects firms to understand their portfolio emissions exposure. The FCA's ESG Sourcebook requires asset managers and FCA-regulated firms to make TCFD-aligned disclosures including Scope 3 for in-scope products.

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