Ruth Knox

Ruth Knox is a partner in the Corporate Department and chair of the ESG & Sustainable Finance practice at Paul Hastings and is based in the firm’s London office. Ruth advises some of the world’s most sophisticated private equity firms, corporations and project sponsors and lenders on complex and evolving legal issues relating to environmental, social and governance and climate-related regulatory requirements, investor demands, strategic opportunities (including transition strategies) and voluntary reporting frameworks and coalitions. She is an environment and climate change legal authority.
 
Ruth’s practice focuses on counseling clients on the management, mitigation and maximization of ESG risks and opportunities, respectively. She has spent more than a decade advising on ESG regulations and soft law standards, including the EU Sustainable Finance package, the Corporate Sustainability Reporting Directive and the Task Force on Climate-related Financial Disclosure (TCFD) standard. She provides commercial, solutions-oriented advice in sustainable fund formation, large scale international M&A, sustainable finance transactions and ESG-related corporate crises of an international profile, and she has meaningful experience in climate and nature-based finance. In her career, she has also advised on a wide range of product regulatory regimes across different sectors, and the UK contaminated land regime.

Ruth has advised hundreds of fund managers on the application of the Sustainable Finance Disclosure Regulation and EU Taxonomy Regulation including product designation, investment strategy and operational implementation of bespoke ESG risk, impact and opportunity management programs deployed through their alternative investment funds. As part of this work, she has helped establish a number of market-leading ESG-driven Article 9 funds. At a prior law firm, Ruth advised on numerous large-scale international corporate M&A transactions across various sectors including oil and gas, petrochemicals, consumer products and mining. She also advised an international development institution on a market-leading forest bond.

Between 2017 to 2021, Ruth led a major ESG regulatory compliance system review for a European-listed client following a major crisis and related public inquiry involving advice on technical ESG regulatory standards, management, and coordination of various technical stakeholders and strategic advice to senior management in respect of various ESG regulatory issues.
 
Ruth’s representative clients include TPG, G42, Affinius Capital, Norwegian Cruise Lines, TowerBrook Capital Partners, Arcmont, Kartesia and Nuveen.

Practice Area

Panel

  • Contributing Author

Experience

  • Linklaters (2010 - 2021)

Membership

  • The Social Mobility Foundation

Education

  • University of Oxford (2019)
  • College of Law Moorgate (2010)
  • University College London (2009)
  • London School of Economics and Political Science (2008)

3 Contributions by Ruth Knox

EU SFDR 2022 Regulatory Technical Standards: FAQs on Article 8/9 classification, PAI/PASI data and templates, periodic disclosures, Taxonomy alignment, exclusions, and non-EU AIFM entity-level obligations [Archived]
PRACTICE NOTES
EU SFDR 2022 Regulatory Technical Standards: FAQs on Article 8/9 classification, PAI/PASI data and templates, periodic disclosures, Taxonomy alignment, exclusions, and non-EU AIFM entity-level obligations [Archived]
ARCHIVED: This Practice Note has been archived and is not maintained. These Q&As respond to the most common queries on the EU Sustainable Finance Disclosure Regulation (EU SFDR) (Regulation (EU) 2019/2088, as amended by Regulation (EU) 2020/852) regulatory technical standards (RTS). They address, among other areas, product categorisation; Article 8 features; principal adverse impact (PAI) data gathering; reliance on third-party information; human rights due diligence, and the effect on non-EU managers. On 6 April 2022, the Commission approved the final Regulatory Technical Standards (RTS) that supplement the EU Sustainable Finance Disclosure Regulation (EU SFDR) (Regulation (EU) 2019/2088, as amended by the EU Taxonomy Regulation (EU) 2020/852) together with the Annexes. EU SFDR imposes substantial environmental, social and governance (ESG) disclosure duties on asset managers promoting funds within the EU. The RTS set out compulsory website, pre-contractual and periodic reporting templates for financial market participants and relevant financial products. For further detail, see Commission publishes adopted RTS containing disclosure rules on sustainable investments under EU SFDR, LNB News 06/04/2022 92. Below we respond to several of the most frequently raised questions regarding EU SFDR, reflecting the final RTS adopted in 2022. Implementation of the EU SFDR has been carried out by...
EU Law
EU SFDR: scope, product designations (Articles 6/8/9), PAI regime, disclosure templates, RTS updates, greenwashing guidance, UK implications and SFDR II review
PRACTICE NOTES
EU SFDR: scope, product designations (Articles 6/8/9), PAI regime, disclosure templates, RTS updates, greenwashing guidance, UK implications and SFDR II review
This Practice Note sets out a summary of the scope and obligations arising under the EU Sustainable Finance Disclosure Regulation (Regulation (EU) 2019/2088) together with Commission Delegated Regulation (EU) 2022/1288. Overview of EU SFDR and related regimes Regulation (EU) 2019/2088 (EU SFDR) on sustainability‑related disclosures for the financial services industry creates a disclosure and transparency framework for the EU financial sector as a whole. The EU SFDR sits within a wider EU sustainable finance rulebook of measures, most notably the EU’s Sustainable Finance Action Plan adopted in March 2018 (Action Plan). For further details on the Action Plan (including a concise overview of the EU legislation that falls within it, such as the EU SFDR, the EU Taxonomy Regulation (Regulation (EU) 2020/852 (EU TR)), and requirements on integrating sustainability), see: Sustainable finance and ESG—overview. For EU financial services sustainable finance and ESG developments, including the regulation on ESG ratings (Regulation (EU) 2024/3005), see: Sustainable finance and ESG—overview. The EU SFDR brought in sustainability‑related disclosure duties for financial market participants, financial advisers, and financial products (each as defined below). It places obligations on in‑scope firms concerning the information made available to investors, periodic investor reporting and website disclosures, and obliges firms...
Financial Services
UK climate and sustainability disclosure regime for financial institutions: corporate and FCA rules, SDR, forthcoming UK SRS (IFRS S1/S2), transition plans, and EU developments
PRACTICE NOTES
UK climate and sustainability disclosure regime for financial institutions: corporate and FCA rules, SDR, forthcoming UK SRS (IFRS S1/S2), transition plans, and EU developments
This Practice Note summarises the mandatory climate-related disclosures applicable to UK financial institutions and the intention to extend sustainability reporting in the UK under IFRS S1 and S2. What are the current UK requirements? In the UK, climate-related disclosures are already compulsory through corporate legislation, alongside distinct Financial Conduct Authority (FCA) rules for certain listed issuers and financial services firms. The FCA has additionally set out some sector- and product-specific disclosure expectations. The government is reviewing the UK climate disclosure frameworks and, on 25 June 2025, issued the following consultations: a Department for Business and Trade consultation on draft UK Sustainability Reporting Standards (UK SRS), to incorporate the ISSB’s IFRS S1 and IFRS S2 into UK law a Department for Business and Trade consultation on proposals for stronger regulatory oversight of third-party assurance over sustainability-related financial disclosures a Department for Energy Security and Net Zero (DESNZ) consultation on transition plans The FCA has also signalled that it will consult on bringing UK SRS into the listing regime and on transition plans...
Financial Services
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