IFRS S2 Scope 3 Transition Relief in Mexico: What It Means and Why You Should Start Now
IFRS S2 Scope 3 Transition Relief in Mexico: What It Means and Why You Should Start Now
Mexico's CNBV adopted IFRS S2's transition relief for Scope 3 emissions: companies are not required to report Scope 3 GHG emissions for their first year of compliance (FY2025). Scope 3 reporting becomes mandatory starting FY2026, with those disclosures filed in 2027. However, 75% of Mexican companies currently don't measure Scope 3 at all — and building that capability takes 12-18 months. Companies that haven't started their Scope 3 program today will not be able to report it accurately in 2027, the same year limited assurance begins.
What Is the Scope 3 Transition Relief?
IFRS S2 includes several transition reliefs to help companies build capacity gradually:
Relief | Details |
|---|---|
Scope 3 exemption (year 1) | Companies need not disclose Scope 3 in their first year of compliance |
Comparative period exemption | No comparative period data required for year 1 |
Climate scenario analysis | Initial qualitative analysis acceptable |
Financed emissions | Relief for financial institutions in early years |
For Mexican listed companies, "year 1" means FY2025 (data from January–December 2025), with the report filed in 2026. Starting FY2026, Scope 3 is no longer exempt.
What Is Scope 3 and Why Is It Difficult?
Scope 3 covers all indirect GHG emissions in a company's value chain — everything that happens outside your direct operations or energy purchases. The GHG Protocol defines 15 Scope 3 categories.
Upstream categories (supply chain):
Purchased goods and services (often the largest category for manufacturers)
Capital goods
Fuel and energy-related activities (not in Scope 1/2)
Upstream transportation and distribution
Waste generated in operations
Business travel
Employee commuting
Upstream leased assets
Downstream categories:
Downstream transportation and distribution
Processing of sold products
Use of sold products (often largest for automotive, appliance, electronics)
End-of-life treatment of sold products
Downstream leased assets
Franchises
Investments
Why it's difficult:
Data comes from hundreds or thousands of external parties (suppliers, logistics, customers)
Emission factors vary by geography, energy mix, and product
No single system owns all the data
Suppliers may not track or share their emissions data
The Timeline Problem — Why Relief Doesn't Mean "Wait"
Year | IFRS S2 Requirement |
|---|---|
2025 (data) | Scope 1 and 2 required. Scope 3 not required |
2026 (data) | Scope 1, 2, and 3 required |
2027 | Limited assurance on FY2026 data (including Scope 3) |
2028 | Reasonable assurance |
The 2027 limited assurance requirement is the critical constraint. For Scope 3 to survive an external assurance review in 2027, you need:
At least 12 months of data collection and refinement (2026)
Documented methodology and data governance
Supplier engagement that takes time to build
Companies that start their Scope 3 program in January 2026 will have 12 months of data collection before the assurance review, no opportunity to refine the methodology before external scrutiny, and no baseline year comparison. Companies that start in early 2025 will have 2+ years of data, refined processes, and a validated methodology before assurance begins.
Priority Scope 3 Categories for Mexican Companies by Sector
Rather than tackling all 15 categories at once, focus on material categories first:
Sector | Highest Priority Scope 3 Categories |
|---|---|
Manufacturing | Cat. 1 (purchased goods), Cat. 11 (use of products) |
Retail / Consumer | Cat. 1 (supply chain), Cat. 4 (transport) |
Financial services | Cat. 15 (investments / financed emissions) |
Real estate (FIBRAs) | Cat. 13 (tenant operations), Cat. 2 (capital goods) |
Food & Beverage | Cat. 1 (agriculture supply chain), Cat. 4 (transport) |
Energy | Cat. 11 (use of sold products) |
How to Build Your Scope 3 Program — Practical Steps
Phase 1: Screening and materiality (2-3 months)
Map all 15 categories against your business model
Estimate relative magnitude using spend-based proxies
Identify the 3-5 categories that represent >80% of your Scope 3 footprint
Prioritize those for detailed measurement
Phase 2: Data collection infrastructure (3-6 months)
Integrate ERP, procurement, and logistics data for upstream categories
Deploy supplier engagement program (questionnaires, data portals)
Connect product lifecycle data for downstream categories
Phase 3: Calculation and verification (3-6 months)
Apply activity data x emission factors
Document methodology for each category
Internal review and validation
Phase 4: Disclosure-ready (ongoing)
Annual data collection cycle
Progressive improvement in data quality
Prepare for assurance by documenting everything
What If You Can't Report Scope 3 by FY2026?
If a company cannot report all Scope 3 categories in FY2026, IFRS S2 allows for explanation:
Disclose which categories are excluded and why
Provide a timeline for when those categories will be included
Explain the methodology being developed
However, complete absence of Scope 3 in FY2026 without explanation would be a compliance gap. Regulatory scrutiny and investor pressure will increase rapidly after the first mandatory reporting cycle.
The NIS B-1 Scope 3 Relief — Same Timeline
NIS B-1 (applying to all NIF companies, not just listed) also granted a Scope 3 transition relief through FY2026. The same logic applies: start measuring now to be ready for FY2026 reporting. Limited assurance isn't required for NIS B-1 yet, but voluntary assurance is emerging as a market expectation.
Frequently Asked Questions
Does the Scope 3 transition relief apply to NIS B-1 companies too?
Yes. CINIF's NIS B-1 also granted a transition period for Scope 3 through the end of 2026. The first mandatory Scope 3 disclosure under NIS B-1 covers FY2026 data.
Which Scope 3 categories are companies most likely to omit?
Category 15 (investments) for financial institutions, Category 11 (use of sold products) for complex manufacturers, and Category 3 (fuel and energy related activities) are commonly excluded initially due to data complexity.
Can we use spend-based emission factors for Scope 3?
Yes, spend-based methods are acceptable for categories where primary supplier data isn't available. They're less accurate but sufficient for initial reporting. Progress to activity-based methods for material categories is expected over time.
How does Scope 3 interact with science-based targets (SBTi)?
If you set an SBTi target, Scope 3 must be included in the target boundary if it represents more than 40% of your total Scope 1+2+3 emissions. IFRS S2 requires disclosure of climate-related targets including any SBTi commitments.
Climatta helps Mexican companies build their Scope 3 data collection program from the ground up — connecting procurement, supplier portals, and logistics data to give you audit-ready value chain emissions. Request a demo.