Read our submission to the government ahead of the 2025 Autumn Budget. In it we highlight policy areas where the Budget could deliver positive change for our industry and the wider economy.
Our work is focused on the priorities of our members and where our cross-sectoral remit can add the most value - international trade and investment; long-term competitiveness; UK regions and nations; industry trust and reputation and sustainability. We provide a wide range of research that helps shape the debate and influence policy for UK-based financial and related professional services.
We have submitted our response to the Transition Finance Council’s consultation on entity-level Transition Finance Guidelines, welcoming the opportunity to contribute to a credible, interoperable and proportionate transition finance framework.
We have submitted two responses to UK government consultations—on sustainability reporting standards and transition plan requirements—welcoming the opportunity to contribute to these key components of the UK’s sustainable finance framework.
Our latest annual report sets out the activity undertaken and outcomes achieved over the previous year to champion and support the success of the UK-based financial and related professional services industry.
We support the development of a Smart Data ecosystem in the UK, leveraging the Data (Use and Access) Act (DUA Act) to facilitate secure and transparent data sharing. The UK financial services industry is already a global leader in Smart Data initiatives, and DSIT should consider our industry’s experience with Open Banking as a blueprint for wider reform.
Our latest policy paper sets out how the UK can lead globally by making its NDC investable through five key success factors across three strategic pillars.
We support the principles of greater English devolution, particularly the expansion of the metro mayor model, and sets out some constructive ways in which this could be achieved, building on the recommendations in our recent Enabling growth across the UK report.
We agree with the FCA’s proposals on targeted support - an important step towards improving consumer engagement with financial services. Our response also makes clear the need for greater clarity on regulatory boundaries, supervisory expectations, and data obligations to ensure the regime’s success and long-term impact.
Our response supports the FCA's aim to bring certain stablecoin activities within the UK’s financial regulatory perimeter. However, our response highlights some key considerations to ensure the future framework is a proportionate, effective and globally competitive regime.
Following the Chancellor’s Mansion House speech, we’ve complied a summary of what was said and what it means for the financial and related professional services industry.