Exchange Reports on Review of Listed Issuers' Corporate Governance
OREANDA-NEWS. The Stock Exchange of Hong Kong Limited (the Exchange), a wholly-owned subsidiary of Hong Kong Exchanges and Clearing Limited (HKEX), today (Friday) reported the findings of its latest review of listed issuers' (issuers) corporate governance practices.
The Exchange reviewed the corporate governance reporting for the 1 April 2014 to 31 March 2015 financial year by 318 issuers (March FYE issuers) and analysed the issuers’ compliance with the Corporate Governance Code (the Code) in its Listing Rules1. The review was intended to provide a more holistic view of issuers' overall compliance with the Code following a similar review of disclosures for 2014 by the issuers with a financial year-end date of 31 December (December FYE issuers)2.
Overall, the March FYE issuers' compliance level with the Code was high and comparable to the December FYE issuers', with two notable exceptions. Firstly, fewer March FYE issuers (21 per cent) reported that they had an internal audit function compared with the December FYE issuers (47 per cent)3. Secondly, more March FYE issuers (28 per cent) did not report a board diversity policy compared with the December FYE issuers (12 per cent)4.
As with the December FYE issuers, the quality of explanations given for deviating from Code Provisions (CPs) by the March FYE issuers was varied and reflected a degree of "boilerplate" use.
"Giving a boilerplate response in the corporate governance report may seem easier than providing tailored, detailed explanations," said David Graham, HKEX's Chief Regulatory Officer and Head of Listing. "However, issuers should bear in mind that no single set of corporate governance standards will fit all issuers; and by the same token, no single explanation will apply to all issuers."
The Exchange expects that the explanation of any deviation from a CP should be informative and clear, and should:
- Explain the manner in which the company deviates from the CP;
- Explain the measure(s) taken instead of compliance;
- Describe the decision process; and
- Give considered reasons.
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