Türkiye Climate Regulation Timeline

Last updated: 26 September 2026 · Next scheduled review: 30 October 2026 · Every row links to its official source; expected or pending steps carry the expected label.

Climate obligations in Türkiye come from several linked instruments rather than one law: Climate Law No. 7552, the Türkiye Emissions Trading System (ETS) regulation and its pilot-phase decision, the local climate action plan duty of all 81 provinces, the Türkiye Sustainability Reporting Standards (TSRS, the national adoption of the ISSB’s IFRS S1 and IFRS S2), the banking regulator BDDK’s climate risk guidance and green asset ratio, the Türkiye Green Taxonomy and, for exporters, the EU Carbon Border Adjustment Mechanism (CBAM). This page puts their dates in one table: what entered into force when, who is in scope, what is required and where the official text is.

This page is for information only and is not legal advice. To determine your own obligations, rely on the Official Gazette text of each instrument and the current announcements of the competent authority.

Upcoming dates: October 2026 to December 2027

Upcoming dates (as of 26 September 2026)
DateInstrumentWho is in scopeWhat is requiredSource
27 Oct 2026Türkiye ETS: first Monitoring Methodology Plan for pilot-phase installationsCategory B and C installations in electricity generation, cement, iron and steel, aluminium and fertilisersElectronic submission within 2 months of the regulation’s entry into force on 27 August 2026; the Directorate may extend by up to 6 monthsETS Regulation, Provisional Article 3; KPK/2026/1 announcement
9-20 Nov 2026COP31, Antalya (event)Parties and observersNo obligation; a period to watch for national policy and finance announcementsUNFCCC
31 Dec 2026Local climate plans: Provincial Climate Change Coordination Boards established in every provinceAll 81 provinces; chaired by the governorBoard established and operatingLocal Climate Action Plan Regulation, Provisional Article 1
1 Feb 2027EU CBAM: sale of CBAM certificates beginsAuthorised CBAM declarants importing cement, iron and steel, aluminium, fertilisers, electricity and hydrogen into the EU; indirectly, producers in TürkiyePurchase of certificates for emissions embedded in 2026 and later importsRegulation (EU) 2025/2083, Article 20(1)
30 Apr 2027Türkiye ETS: greenhouse gas emission report for system year 2026Pilot-phase installations (2026 is a reporting-only year)Monitored emissions and activity levels of the previous calendar year reported to the Directorate; extension of up to one month possibleETS Regulation, Article 29
System year 2027Türkiye ETS: price mechanism startsPilot-phase installationsAllowance obligations for 2027 emissions; free allocation at 100 percent under the benchmark method during the pilotKPK/2026/1 announcement
30 Sep 2027EU CBAM: first annual CBAM declaration and surrender, for the 2026 import yearAuthorised CBAM declarantsDeclaration of emissions embedded in goods imported during 2026; every year by 30 September thereafterRegulation (EU) 2025/2083, Article 6(1)
31 Dec 2027Local climate plans: first Local Climate Change Action Plans (2028-2032) adoptedAll 81 provinces: metropolitan municipalities, elsewhere the provincial municipality together with the special provincial administration, under governor coordinationClimate risk assessment, provincial GHG inventory, mitigation and adaptation targets, responsible institutions, budget and financing; the Ministry may extend by up to one yearClimate Law, Provisional Article 2; Regulation, Article 6 and Provisional Article 1
31 Dec 2027Climate Law: adaptation of legislation and planning instrumentsInstitutions named in Articles 5 and 6 of the LawPreparation and adaptation duties completed; the President may extend by up to one yearClimate Law, Provisional Article 2

Full timeline: 2023 to 2029

Climate regulation in Türkiye: entry-into-force dates and deadlines
DateInstrumentWho is in scopeWhat is requiredSource
29 Dec 2023TSRS 1 and TSRS 2 (the IFRS S1 and S2 adoption) and the scope decision published by the Public Oversight Authority (KGK)Entities named in the decision (companies traded on Borsa Istanbul and other entities regulated by the Capital Markets Board, non-bank financial institutions regulated by BDDK, insurance, reinsurance and pension companies, entities licensed to operate on Borsa Istanbul markets) that exceed at least two of three thresholds in two consecutive reporting periods; banks in scope regardless of size (except those under the deposit insurance fund); portfolio management companies were removed from the mandatory scope by a Board decision of 14 August 2025TSRS-compliant sustainability report for financial years starting on or after 1 January 2024; Scope 3 emissions disclosure not mandatory for the first two reporting yearsKGK Board decision, Official Gazette 32414 (repeated issue)
5 Sep 2024KGK: assurance of sustainability reports becomes mandatory, starting with limited assuranceCompanies within TSRS scopeIndependent assurance of the sustainability reportKGK announcement 2024-59
18 Dec 2024KGK amends the TSRS scope decisionCompanies traded on Borsa Istanbul (other than the Watchlist Market and Venture Capital Market); smaller banks and non-bank financial institutions whose shares are not publicly tradedCompanies issuing only non-equity capital market instruments without a public offering are removed from mandatory scope; for banks and non-bank financial institutions whose shares are not traded on Borsa Istanbul and that, as of the previous year-end, have no more than one branch or no more than 250 employees, sustainability reporting is optional for the periods in which they are exempt from Scope 3 disclosure; effective for financial years starting on or after 1 January 2024Official Gazette 32756
17 Jan 2025Sustainability Audit Regulation in forceAudit firms and sustainability auditors; reporting companiesFramework for the audit, authorisation and delivery of the assurance reportOfficial Gazette 32785
13 Mar 2025BDDK guidance on the management of climate-related financial risks (in force 1 July 2025)Banks; applied in proportion to size and complexityIdentify and quantify climate-related risks; scenario analysis and stress testing; integration into internal capital and liquidity adequacy assessment; board-approved policyBDDK Board decision 11166
11 Apr 2025BDDK communiqué on the calculation of banks’ green asset ratioBanksCalculation and reporting of the green asset ratio and related indicators; reporting starts on 30 June 2025Official Gazette 32867
9 Jul 2025Climate Law No. 7552 in forcePublic institutions, provincial administrations, installations to be covered by the ETS, the financial sectorETS established with a pilot phase; 3 years to obtain a greenhouse gas emission permit; local climate plans by 31 December 2027; Türkiye Green Taxonomy; a Turkish CBAM may be establishedOfficial Gazette 32951
16 Jul 2025KGK: Procedures and Principles on the Scope of Application of TSRS in forceAll entities assessing whether they fall within the mandatory TSRS scopeTo be in scope, an entity must have belonged to one of the categories named in the Board decision for at least two reporting periods and have exceeded at least two of the three thresholds in two consecutive reporting periods; exemptions listed (banks under the deposit insurance fund; companies issuing only non-equity capital market instruments without a public offering; companies on the Watchlist Market and Venture Capital Market; small banks and non-bank financial institutions during the Scope 3 exemption periods); thresholds assessed together with subsidiaries and associates; an entity outside the scope is not brought into it merely because its parent, subsidiary or associate is in scopeOfficial Gazette 32957
14 Aug 2025KGK Board decision 34844: portfolio management companies removed from the mandatory scope of TSRSPortfolio management companies regulated by the Capital Markets BoardTSRS is voluntary rather than mandatory for these companies; announced by the KGK on 26 August 2025KGK announcement 2025-53
1 Jan 2026EU CBAM definitive period beginsEU importers; indirectly, producers in Türkiye of cement, iron and steel, aluminium, fertilisers, electricity and hydrogenAuthorised CBAM declarant status for imports above 50 tonnes a year; verifiable embedded emission data from suppliersEuropean Commission; Regulation (EU) 2025/2083
16 Jan 2026KGK: TSRS scope thresholds redefinedFinancial years starting on or after 1 January 2025Total assets TRY 1 billion, annual net sales TRY 2 billion, 500 employees; at least two of the three criteria exceeded in two consecutive reporting periodsOfficial Gazette 33139
26 Feb 2026EU: Directive (EU) 2026/470 narrows the scope of the CSRDEU companies with more than 1,000 employees and net turnover above EUR 450 million; non-EU groups with EU turnover above EUR 450 millionShapes the sustainability data EU customers may request from suppliersOfficial Journal of the EU
4 Aug 2026Regulation on Local Climate Change Action Plans and Provincial Climate Change Coordination BoardsAll 81 provincesBoards by 31 December 2026; first plans for 2028-2032 by 31 December 2027; plans updated every five yearsOfficial Gazette 33330
27 Aug 2026Türkiye Emissions Trading System Regulation in forceInstallations carrying out Annex 1 activities; Category A (50,000 t CO2e a year or less), B (50,001 to 500,000 t) and C (above 500,000 t)Emission permit, monitoring plan, annual emission report by 30 April, verification, surrender of allowances; the 2014 monitoring regulation is repealedOfficial Gazette 33353
3 Sep 2026Carbon Market Board decision KPK/2026/1: scope and duration of the pilot phaseCategory B and C installations in electricity generation, cement, iron and steel, aluminium and fertilisersPilot covers 2026 and 2027 emissions; reporting only in 2026; price mechanism from 2027; free allocation at 100 percent under the benchmark methodDirectorate of Climate Change announcement
24 Sep 2026Türkiye Green Taxonomy Regulation in forceCompanies carrying out Annex 1 activities (may report); banks, brokerage houses, insurance, reinsurance and pension companiesTaxonomy alignment reporting; financial institutions are not obliged to report until 1 January 2029Official Gazette 33380
27 Oct 2026Türkiye ETS: first Monitoring Methodology Plan (pilot)Pilot-phase installationsWithin 2 months of entry into force; extension of up to 6 months possibleETS Regulation, Provisional Article 3
9-20 Nov 2026COP31, AntalyaParties and observersEvent; no obligationUNFCCC
31 Dec 2026Provincial Climate Change Coordination Boards establishedAll 81 provincesBoard establishedRegulation, Provisional Article 1
1 Feb 2027EU CBAM certificate sales beginAuthorised CBAM declarantsCertificates for 2026 and later importsRegulation (EU) 2025/2083, Article 20(1)
30 Apr 2027Türkiye ETS: emission report for 2026Pilot-phase installationsVerified emissions and activity dataETS Regulation, Article 29
30 Sep 2027EU CBAM: first annual declaration and surrender, for 2026Authorised CBAM declarantsAnnual declaration; every year by 30 SeptemberRegulation (EU) 2025/2083, Article 6(1)
31 Dec 2027Local climate plans adopted; legislation and planning instruments under the Law adaptedAll 81 provinces; institutions concernedFirst plans (2028-2032); extension powers of one yearClimate Law, Provisional Article 2
30 Apr 2028Türkiye ETS: emission report for 2027Pilot-phase installationsVerified emissions and activity dataETS Regulation, Article 29
9 Jul 2028Türkiye ETS: end of the 3-year period the Law allows for obtaining a greenhouse gas emission permitInstallations to be covered by the ETSEmission permit from the Directorate; permits are deemed to exist during this period; the Presidency may extend this period by up to two years by decision of the Carbon Market BoardClimate Law, Provisional Article 1; Directorate of Climate Change; ETS Regulation, Provisional Article 2
1 Jan 2029Türkiye Green Taxonomy: reporting exemption for financial institutions endsBanks, brokerage houses, investment trusts, portfolio management companies, insurance, reinsurance and pension companiesTaxonomy reportingTaxonomy Regulation, Provisional Article 1

Instrument by instrument: who, what, when

Climate Law No. 7552

Türkiye’s first climate law was adopted on 2 July 2025 and entered into force on publication in the Official Gazette of 9 July 2025. It establishes the Emissions Trading System, defines the Carbon Market Board, tasks the Directorate of Climate Change with setting up the Türkiye Green Taxonomy and allows a carbon border adjustment mechanism to be set up for the Turkish customs territory. Under its transitional provisions the ETS starts with a pilot phase in which administrative fines are reduced by 80 percent; installations to be covered must obtain a greenhouse gas emission permit within three years of entry into force; and local climate change action plans must be prepared by 31 December 2027.

Türkiye Emissions Trading System

The operating framework is the Türkiye Emissions Trading System Regulation of 27 August 2026. It sorts installations into three categories by annual emissions (Category A: 50,000 t CO2e or less; B: 50,001 to 500,000 t; C: above 500,000 t) and sets out the emission permit, the monitoring plan, the annual emission report due by 30 April and verification; the 2014 monitoring regulation is repealed. The scope and duration of the pilot phase were fixed by Carbon Market Board decision KPK/2026/1, announced on 3 September 2026: the pilot covers 2026 and 2027 emissions; Category B and C installations in electricity generation, cement, iron and steel, aluminium and fertilisers are in scope; 2026 is a reporting-only year and the price mechanism starts with system year 2027; free allocation is 100 percent under the benchmark method.

expected The Directorate will publish the pilot-phase implementing rules and the method for the complementary allowance price; for later trading periods, benchmark values are announced by the last working day of November of the calendar year before the period starts.

Municipalities and provincial administrations: local climate action plans

Article 7 of the Law requires a Provincial Climate Change Coordination Board chaired by the governor in every province and a local climate change action plan (YİDEP) prepared by the metropolitan municipality in metropolitan provinces and jointly by the provincial municipality and the special provincial administration elsewhere. The regulation of 4 August 2026 fixed the calendar: boards by 31 December 2026; the first plans cover 2028-2032 and are adopted by 31 December 2027 (the Ministry may extend by up to one year); plans are updated every five years. A plan contains the province’s climate risk assessment and adaptation targets, its greenhouse gas inventory and mitigation target, and the responsible institutions, implementation period, monitoring indicators, budget and financing sources for each action. Existing climate risk assessments and hazard maps at provincial and district level are taken into account.

expected A technical guide for preparing the plans will be issued by the Directorate; plans are entered in the E-YİDEP system and published on the national climate portal.

Companies: TSRS 1 and TSRS 2, the IFRS S1 and S2 adoption

TSRS 1 and TSRS 2, issued by the Public Oversight Authority (KGK) on the basis of the ISSB’s IFRS S1 and IFRS S2, were published in the repeated Official Gazette of 29 December 2023. Under the Board decision issued the same day, mandatory scope is limited to specific categories: companies traded on Borsa Istanbul and other entities regulated by the Capital Markets Board (portfolio management companies were removed from the mandatory scope by a Board decision of 14 August 2025), non-bank financial institutions regulated by BDDK, insurance, reinsurance and pension companies, and entities licensed to operate on Borsa Istanbul markets, where at least two of three thresholds are exceeded in two consecutive reporting periods; banks are in scope regardless of size (except those administered by the deposit insurance fund). Mandatory reporting applies to financial years starting on or after 1 January 2024, and Scope 3 emissions disclosure is not mandatory for the first two reporting years. A Board decision of 18 December 2024 narrowed the scope further: companies issuing only non-equity capital market instruments without a public offering were removed from mandatory scope, and for banks and non-bank financial institutions whose shares are not traded on Borsa Istanbul and that, as of the previous year-end, have no more than one branch or no more than 250 employees, sustainability reporting became optional for the periods in which they are exempt from Scope 3 disclosure. The Procedures and Principles published in the Official Gazette of 16 July 2025 clarified that an entity is in scope only if it has belonged to one of the categories named in the decision for at least two reporting periods and has exceeded the thresholds in two consecutive reporting periods, that thresholds are assessed together with subsidiaries and associates, and that an entity outside the scope is not brought into it merely because its parent, subsidiary or associate is in scope; portfolio management companies were removed from the mandatory scope by the Board decision of 14 August 2025. Entities outside the mandatory scope may adopt TSRS voluntarily. A further Board decision published on 16 January 2026 redefined the size thresholds: total assets of TRY 1 billion, annual net sales of TRY 2 billion and 500 employees, applied to financial years starting on or after 1 January 2025, with at least two of the three exceeded in two consecutive reporting periods required to be in scope. Assurance of sustainability reports became mandatory with the KGK decision of 5 September 2024, starting with limited assurance, and the Sustainability Audit Regulation of 17 January 2025 sets the audit framework. TSRS 2 asks for physical climate risks to be assessed over the short, medium and long term with scenario analysis; how that is prepared is explained on our TSRS climate reporting page.

Banks: BDDK guidance, green asset ratio and the green taxonomy

The BDDK’s guidance on the management of climate-related financial risks, dated 13 March 2025, entered into force on 1 July 2025. It asks banks to identify and quantify climate-related financial risks, to include the material ones in their internal capital and liquidity adequacy assessment processes including stress tests, and to assess the resilience of their business model and strategy with scenario analyses covering physical and transition risks. The principles apply in proportion to a bank’s size and complexity. The communiqué on the calculation of banks’ green asset ratio was published on 11 April 2025 and reporting to the BDDK started on 30 June 2025. The Türkiye Green Taxonomy Regulation of 24 September 2026 does not oblige banks, brokerage houses, insurance, reinsurance and pension companies to report until 1 January 2029. How a bank can quantify physical climate risk at portfolio level under this guidance is described on the UrClimate Next page.

EU CBAM and the link to the Türkiye ETS

The definitive period of the EU Carbon Border Adjustment Mechanism began on 1 January 2026 and covers cement, iron and steel, aluminium, fertilisers, electricity and hydrogen. EU importers above 50 tonnes a year must hold authorised CBAM declarant status; certificate sales start on 1 February 2027 and the first annual declaration, for the 2026 import year, is due by 30 September 2027. The obligation sits with the EU importer; what falls to the producer in Türkiye is to supply verifiable embedded emission data for its products. The pilot sectors of the Türkiye ETS (cement, iron and steel, aluminium, fertilisers and electricity generation) largely overlap with the CBAM goods. The EU regulation allows a carbon price effectively paid in the country of origin to be deducted from the number of certificates to be surrendered.

expected The rules for that deduction will be set in an implementing act of the European Commission. A carbon border mechanism of Türkiye’s own is provided for in the Law as an option, with procedures to be set by the Ministry of Trade and no date yet.

EU CSRD and Turkish companies

Directive (EU) 2026/470 narrowed the CSRD to companies with more than 1,000 employees and net turnover above EUR 450 million, and set the same EUR 450 million EU turnover threshold for non-EU groups. For Turkish exporters the practical consequence is that the sustainability and climate data EU customers may request from suppliers now follows this narrower framework. How TSRS, IFRS S2 and the CSRD treat physical climate risk is compared in our comparison article.

How this timeline is kept current

The page is updated by following the Official Gazette, the Directorate of Climate Change, the KGK, the BDDK and the European Commission. A scheduled review takes place in the last week of every month, and the page is reviewed again whenever one of these dates passes or a new instrument is published in the Official Gazette: 27 October 2026, 20 November 2026, 31 December 2026, 1 February 2027, 30 April 2027, 30 September 2027 and 31 December 2027. Past dates are not deleted; they stay in the full timeline. The “last updated” line at the top is refreshed at every review.

To prepare

Sources

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