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  1. 24 February 2025

    Board and governance

    This webpage talks about the function of the FMA Board and introduces the individual members
  2. 24 February 2025

    FMA Exemption to complement XRB relief for assurance of Scope 3 GHG emissions reporting in 2025

    The FMA has approved in principle a class exemption for climate reporting entities, who use Adoption Provision 8 in NZ CS 2, from the assurance requirement in section 461ZH of the Financial Markets Conduct Act (FMC Act) to the extent that their climate statements are required to disclose scope 3 GHG emissions for accounting periods ending 31 December 2024 through to 30 November 2025.
  3. 21 February 2025

    Climate Reporting Entities (CREs)

    The New Zealand government has introduced a new regime making climate-related disclosures mandatory for some organisations. Organisations covered (known as Climate Related Entities or CREs) will have to make annual disclosures covering governance arrangements, risk management, strategies and metrics and targets for mitigating and adapting to climate change impacts. The requirement applies to the larger publicly listed companies, big insurers, banks, non-bank deposit takers and investment managers. Read more on the FMA website.
  4. 19 February 2025

    About

    The Financial Markets Authority regulates financial markets in New Zealand’s. Find out more about our purpose, board and leadership team, and how we regulate and enforce the law on this page.
  5. 17 February 2025

    Research

    The FMA conducts a range of research annually to inform the work that we do. View our research reports on this research page.
  6. 17 February 2025

    Myth

    Investing myths debunked by Mary Holm.
  7. 17 February 2025

    Case Study

    FMA will from time to time produce case studies to support certain topics. You will find our case studies on this page.
  8. 12 February 2025

    e-money and payment service providers

    E-money is a digital cash equivalent where value is held electronically, for example on a prepaid card. In some jurisdictions, providers of e-money services require a licence (and “e-money” and “e-money institution” have specific regulatory definitions). This is not the case in New Zealand; however, some regulations will still apply.