California’s New Climate Accountability Laws: What SB-253 & SB-261 Mean for the AV Industry and ESG Reporting

California’s new climate laws—SB 253 & SB 261—are reshaping ESG accountability. For U.S.-based pro AV firms, this means rethinking product choices, reporting practices, and tech strategy to align with global sustainability goals. Compliance isn’t optional—it's a chance to lead.
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California’s Climate Accountability Revolution: Why Your Company Can’t Afford to Ignore SB-253 and SB-261

If your business is tied to the professional audiovisual (AV) industry—whether you manufacture AV equipment, serve as an AV consultant, or build integrated AV environments—the scope and urgency of California’s new climate accountability laws should be on your radar. The legislative landscape is transforming rapidly: starting in 2026, thousands of companies—including many far beyond California’s state borders—will face some of the world’s most ambitious climate reporting mandates.

Let’s break down the essentials and recent updates, then connect the dots to ESG reporting, product procurement, and the AV sector’s alignment with the United Nations’ Sustainable Development Goals (SDGs).

What are SB-253 and SB-261? Key Facts and Requirements

SB-253 (“Climate Corporate Data Accountability Act”) and SB-261 (“Climate-Related Financial Risk Act”) are at the heart of California’s Climate Accountability Package (CCAP). Passed in 2023 and refined through new amendments, these laws apply not only to public and private firms based in California, but to any company “doing business in the state” that exceeds specific revenue thresholds—even if their headquarters or primary operations are elsewhere.

SB-253: GHG Emissions Disclosure

Who’s Covered:

  • U.S. companies and subsidiaries with annual global revenues over $1 billion that do business in California.

What’s Required:

  • Annual public disclosure of Scope 1 and Scope 2 greenhouse gas (GHG) emissions starting in 2026 (reporting 2025 data).
  • Scope 3 emissions (value chain emissions—including upstream suppliers, logistics, and downstream product use—sometimes making up >80% of a company’s footprint) required beginning 2027 (reporting 2026 data).
  • All emissions reports must utilize the globally recognized Greenhouse Gas Protocol.
  • Reports must be independently verified by third-party assurance providers, with assurance requirements tightening over time.

Why It Matters:

  • Enforcement will be handled by the California Air Resources Board (CARB), and noncompliance carries penalties up to $500,000.

SB-261: Climate-Related Financial Risk Reporting

Who’s Covered:

  • U.S. companies (public and private) with annual global revenue over $500 million that do business in California.

What’s Required:

  • Biennial public reports (first deadline January 1, 2026) assessing the company’s exposure to climate-related financial risks and the strategies adopted to mitigate or adapt to those risks.
  • Reports must align with the Task Force on Climate-related Financial Disclosures (TCFD) recommendations or equivalent standards such as IFRS S2.
  • Transparency is paramount: the report (or a link to it) must be posted on the company website and registered with CARB.

Penalties:

  • Capped at $50,000 per violation, but the reputational risks and investor pressure loom even larger.

Who’s in Scope? The Reality for AV Manufacturers, Consultants, and Integrators

The “doing business in California” test is broad:

  • If your company sells AV equipment into California, supplies AV projects, earns project revenue in the state, or has property or payroll above small thresholds (2024: ~$73,500 in sales, property, or payroll), you’re almost certainly covered if you meet the revenue bar.
  • Foreign AV brands with U.S. subsidiaries selling in California are included.
  • AV consultancies and systems integrators that win California projects (even remotely) may fall within scope, especially if revenues or payroll cross the identified thresholds.

These rules cast a wide net, meaning that the majority of leading pro AV ecosystem players—OEMs, design consultancies, and service firms—should assume compliance unless proven otherwise.

Timeline & Implementation: Key Dates and CARB Guidance

Milestone

Requirement

Date / Status

SB-253

Scope 1 & 2 data (2025 FY)

Report by June 30, 2026 (proposed; final TBC by CARB)

SB-253

Scope 3 data (2026 FY)

Report by late 2027 (180 days after Scope 1/2)

SB-261

Climate risk report

Due January 1, 2026 (covers FY23/24 or FY24/25)

CARB

Regulations & templates

Drafts by October 2025, final by December 2025

Ongoing

Biennial (SB-261)

Every two years following first SB-261 report

CARB has stated that “good faith” efforts will be considered in initial compliance years, but the timelines are firm. Additional guidance (templates, FAQs, exemption lists) is being finalized, with stakeholder workshops ongoing.

ESG Reporting Transformation: Alignment and Impact for Pro AV

California’s climate rules fundamentally alter the U.S. ESG reporting landscape in ways similar to the EU’s CSRD and global TCFD/ISSB trends—but with unique teeth and reach:

  • Mandatory, externally verifiable GHG emission audits—especially Scope 3—raise the bar for transparency and data integrity.
  • Risk disclosures must be robust, scenario-based, and strategic, demanding top-tier risk management practices.
  • Even companies not directly covered will face upstream/downstream pressure, as their clients or supply chain leaders request data to meet their own obligations.

What This Means for the AV Sector

  • AV Equipment Manufacturers: Must establish rigorous carbon accounting, invest in sustainable design/materials, and partner with suppliers who can deliver credible emissions data. Green procurement and eco-design will move from “nice-to-have” to “required for market access”.
  • AV Consultants: Need to understand ESG drivers and guide clients in selecting products/services that support climate disclosures. Expertise in low-carbon system design, energy modeling, and lifecycle costing will differentiate offerings.

AV Integrators: Will play a critical role as “downstream” suppliers, ensuring that installation techniques, logistics, and commissioning practices align with client GHG targets. Integrators may need to collect, track, and report their own emissions to remain trusted partners.

SB-253 and SB-261 vs. Global Frameworks: Complementarity, Not Redundancy

California’s approach is notable for its alignment with leading global reporting frameworks:

  • SB-253 (emissions): Uses the GHG Protocol, mirroring the EU’s CSRD and global SBTi (Science Based Targets initiative) methods.
  • SB-261 (climate financial risk): Based on TCFD and IFRS S2, emphasizing governance, business strategy, risk management, and quantitative metrics/targets.

Global tech and AV brands will benefit from harmonized disclosures, avoiding duplication and facilitating a “single set of books” for climate risk and performance. However, CA’s rules differ by being state law with specific enforcement and market eligibility consequences for failure.

Why Scope 3 Matters: The Value Chain Challenge for AV

Scope 3 GHG emissions often represent the majority (>2/3) of an AV company’s climate impact. For example:

  • AV product manufacturers must report on: upstream materials (e.g., metals, plastics), manufacturing energy, logistics, contractor emissions, and even downstream use-phase emissions (e.g., how much energy a display or DSP system draws).
  • AV integrators and consultants are both Scope 3 “upstream” suppliers to their clients, and will increasingly be required to track and verify their own operational footprints.
  • Capturing Scope 3 requires detailed supplier engagement, methodological transparency, and data-quality controls—all of which will affect procurement, product design, and supplier relationships.

Technology & Tools: ESG Reporting and Climate Compliance Solutions for AV

Digital transformation is key for compliance. The AV sector is not exempt—firms must:

  • Deploy ESG management and reporting platforms (e.g., Workiva, Persefoni, Nasdaq Metrio, Sunhat, Facilio) for streamlined carbon accounting, reporting, and audit trails.
  • Use data analytics and BI tools to evaluate product/supplier footprints in real time, optimize selection, and empower greener supply chains.
  • Map product life cycles and manage data integration across design, procurement, commissioning, and operations.

This will demand upskilling across compliance, finance, procurement, and engineering teams in the AV ecosystem.

Practical AV Adaptation & Response Strategies

For AV Manufacturers

  • Supply Chain Emissions Baselines: Establish credible supplier data streams by using the GHG Protocol’s value chain standard and collaborating with suppliers on emissions calculation and disclosure. Address data gaps with a common digital platform.
  • Eco-Design: Prioritize energy efficiency, modularity, and material choices known for lower embodied carbon.
  • Product Carbon Disclosure: Label products with lifecycle carbon footprints and sustainability certifications (e.g., ISO 14001, Energy Star).

For AV Consultants

  • Sustainable Procurement Advisory: Integrate climate disclosures and product carbon data as part of RFP/bid support. Recommend equipment and integrators that have proven emissions accounting and credible ESG policies.
  • Scenario Analysis: Guide clients through TCFD methodologies—quantifying risks from extreme weather, policy changes, or reputational factors.

For AV Integrators

  • Operational Emissions: Track logistics, travel, installation activities, and fleet emissions—which are often overlooked but material.
  • Client Collaboration: Proactively share GHG emission data relevant to each project, participating in broader carbon reduction initiatives.
  • Lifecycle Focus: Implement practices for equipment reuse, refurbishment, and recycling to minimize e-waste and extend product life.

Product Selection: AV Procurement in the Age of Carbon Accountability

California’s climate regulations are already changing the RFP and procurement landscape. Buyers—especially in the public sector and among ESG-driven commercial clients—are demanding:

  • Certified GHG inventories and net zero targets from vendors.
  • Preference for AV products with EPDs (Environmental Product Declarations) or carbon labels.
  • Sustainable packaging and end-of-life recycling plans.

Manufacturers and resellers that cannot support or document their emissions profile are increasingly being cut from shortlists, regardless of technical specs or cost. The most competitive AV product portfolios will soon be those with provable “green” credentials and transparent supply chains.

Aligning With the UN Sustainable Development Goals

The new California laws directly support progress on the following UN SDGs, advancing the global agenda for sustainable business:

  • Goal 7 (Affordable and Clean Energy): Driving energy efficiency in AV product design and deployment.
  • Goal 9 (Industry, Innovation and Infrastructure): Catalyzing sustainable industrialization and infrastructure upgrades with low-emission AV systems.
  • Goal 12 (Responsible Consumption and Production): Mandating holistic emissions tracking and responsible procurement throughout AV value chains.
  • Goal 13 (Climate Action): Forcing climate accountability through emission reductions and resilience planning.
  • Goal 17 (Partnerships for the Goals): Requiring cross-sector and supply chain collaboration for emissions data and best practice sharing.

By integrating transparent ESG reporting, AV industry leaders can tangibly advance multiple SDGs, supporting both global and local climate priorities.

The Broader Technology Sector: Market Ripple Effects

While California’s rules start locally, their ramifications are unmistakably global—especially for U.S.-based technology and pro AV companies:

  • Precedent-setting: With California’s position as the world’s fifth largest economy, many national and even global supply contracts will reference CA compliance as a baseline.
  • Investor Pressure: Publicly listed AV and tech companies face heightened investor scrutiny as ESG factors become material to market valuation.
  • Interoperability: As U.S. SEC and global ISSB/TCFD standards proliferate, the AV sector’s compliance with CA laws will serve as a precondition for seamless market entry in other regulated markets, such as the EU and UK.

Overcoming Common Challenges in AV Climate Reporting

The Toughest Hurdle: Accurate Scope 3 Data

AV organizations will find Scope 3 tracking the hardest, due to:

  • Fragmented supply chains and lack of direct control over many suppliers.
  • Inconsistent data quality and reporting methodologies across vendors.
  • Evolving product use-cases and rapidly changing technology baselines.

Best Practices:

  • Adopt leading digital platforms to standardize and automate data collection.
  • Leverage industry consortia for guidance and supplier engagement templates.
  • Work with major clients and partners on shared reporting goals.

Managing Regulatory Uncertainty

Final implementation details for SB-253 and SB-261 (e.g., fees, definitions of “business in CA”, precise reporting formats) are still being finalized. Early engagement, “good faith” compliance, and consultation with legal/ESG experts are critical for risk mitigation.

Legal and Regulatory Developments: What’s Next?

  • Legal challenges to SB-253 and SB-261 have been launched, but recent court decisions have allowed enforcement to proceed, at least for now. Further appeals are possible, but companies should not assume a delay or reversal of implementation deadlines.
  • Enforcement strategy: CARB has signaled initial enforcement will emphasize good faith efforts, especially on first-year Scope 3 disclosures, but penalties and reputational risks remain real for willful noncompliance.

Five Ways to Get Ahead: How AV Industry Leaders Can Turn Compliance into Competitive Advantage

  1. Invest in Data-Driven ESG Reporting

Adopt robust digital platforms tailored for ESG and climate disclosure. Choose solutions that integrate with design, procurement, and logistics tools for maximum efficiency.

  1. Engage Your Supply Chain Early

Demand verified GHG information from suppliers and share climate goals up and down your value chain. Build supplier partnerships centered on emissions reductions and transparency.

  1. Prioritize Sustainable Product Innovation

Make sustainability and circularity (e.g., modular designs, lower-impact materials, upgradable firmware/hardware) key R&D objectives—not just regulatory box-ticking.

  1. Integrate Climate Risk into Business Strategy

Use TCFD or IFRS S2 frameworks to stress-test your business strategy and operational plans for climate resilience, and help clients do the same.

  1. Communicate and Collaborate

Proactively share your ESG and climate progress with clients, partners, and employees. Build industry coalitions to set standards, advocate for harmonized reporting, and accelerate decarbonization impact across the sector.

Leading the Way with Transparency and Purpose

California’s SB-253 and SB-261 aren’t just a regulatory hurdle—they’re a wake-up call and an opportunity for every player in the pro AV industry. By embedding climate accountability and robust ESG practices into the core of your business, you’ll unlock market access, tap into new innovation, attract ESG-focused clients and investors, and play a decisive role in the world’s journey toward net zero and the SDGs.

The future of AV is low-carbon, data-driven, and sustainable—driven by those with the courage to act today.

How will you lead?

#CaliforniaClimateLaw #SB253 #SB261 #ESG #AVIndustry #SustainableTech #Scope3 #GHG #ClimateRisk #UNSDGs #AVManufacturing #AVConsulting #AVIntegration #SustainableProcurement #GreenAV #ClimateReporting  #SAVeAV #AVIXASustainabilityAdvisoryCouncil

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Go to the profile of Kelly Bousman
about 2 months ago

@Raymond Kent this is the best briefing about California's Climate Accountability Package I've read. Thank you for sharing the intel and your insights. I'm happy to see California giving us this motivation and momentum.

Go to the profile of Raymond Kent
about 2 months ago

Thanks @Kelly Bousman! The hope is this will be the driver to finally delivering real change in the US markets