04/03/2025 | Press release | Archived content
On 1 April 2025, the UK Government announced that a new Foreign Influence Registration Scheme ("FIRS") - established pursuant to the National Security Act 2023 (the "NSA") - will launch with effect from 1 July 2025. The Government also published extensive practical guidance regarding the implementation of FIRS.
FIRS is intended to provide greater transparency regarding foreign influence in UK politics and other activities involving foreign powers or persons that may present a risk to the safety or interests of the United Kingdom. This alert briefly summarizes the scope of FIRS, explains its current status, and outlines the implications and next steps for persons subject to a FIRS registration requirement.
The Scope of the Scheme
Based on long-running concerns regarding perceived gaps in the legal framework applicable to foreign influence activities in the UK, the UK Governmentindicated its openness to new registration measures in 2019. Initially, the Government was expected to adopt a modified version of the US Foreign Agents Registration Act or the Australian Foreign Influence Transparency Scheme Act, both of which are focused exclusively on political influence activities. The final version of FIRS is similar to the US and Australian regimes in some respects, as it includes a registration requirement for political influence activities directed by foreign powers. However, FIRS goes beyond the US and Australian measures, as it also introduces a registration requirement for certain other non-political activities conducted in the UK at the direction of specified foreign powers or entities. We summarize the political influence registration requirement and the enhanced registration requirement below.
Political Influence Registration Requirement
When FIRS enters into force, any person who is party to an agreement or arrangement with a foreign power to carry out or arrange political influencing activities in the UK at the direction of that foreign power will be required to register within 28 days of the date of the agreement or arrangement. For these purposes:
There will be some very limited exceptions to the political influence registration requirement, including with respect to the carrying out of certain legal activities by a qualified lawyer, and with respect to some activities relating to news publishers.
Enhanced Registration Requirement
In addition to the political influence registration requirement, FIRS will establish an enhanced registration requirement relating to certain "specified persons". In summary:
For these purposes, the Home Secretary is authorized to designate as a "specified person" any foreign power or entity that she reasonably believes to be controlled by a foreign power, if she considers it reasonably necessary to do so to protect the safety or interests of the UK.
Last month, the Government confirmed that certain Iranian entities would be designated for this enhanced tier. The announcement on 1 April 2025 confirms that the Government also intends to designate certain Russian entities to the enhanced tier. Guidance and draft regulations for Iran and Russia, respectively, set out the "specified persons" and "relevant activities" at issue:
There has previously been speculation that Chinese state entities could also be added to the list of specified persons, and the Conservative Party committed to doing so during the UK General Election in 2024. This continues to be Conservative Party policy and, in the House of Commons debate following the announcement of the 1 July 2025 launch date, the Shadow Home Secretary said that there was "no question" that China should be included within the scope of the enhanced registration requirement. Responding to that call, the Government minister refused to speculate on which countries may or may not be specified in the future. However, he also indicated that the current Government's approach towards China is arguably more nuanced than the prior Government's approach: "The Government's policy is clear: we will cooperate where we can, compete where we need to and challenge where we must, including on issues of national security."
As with the political influence registration requirement discussed above, there are some very limited exceptions to the enhanced registration requirements.
Offences
The NSA also establishes several criminal offences relating to FIRS and its operation.
Current Status
As noted above, the registration requirements under FIRS will apply from 1 July 2025. However, there will be a grace period for registrable agreements or arrangements in place prior to 1 July 2025. In particular, registrable agreements or arrangements that were made prior to 1 July 2025 but continue on or beyond that date must be registered by 1 October 2025. Agreements or arrangements made prior to 1 July 2025 that have completely ceased by 1 July 2025 do not need to be registered.
Implications and Next Steps
Any person who is party to an agreement or arrangement with a foreign power to carry out or arrange political influencing activities in the UK at the direction of that foreign power should begin preparations to register the agreement or arrangement, if relevant activities will continue on or beyond 1 July 2025.
Likewise, any person who is party to an agreement or arrangement with a specified Iranian or Russian person pursuant to which the specified person directs that other person to carry out any activities in the UK should begin preparations to register, if any activities will continue on or beyond 1 July 2025.
In addition, given the risk of criminal liability for persons involved in registrable activities while unregistered, entities that are involved in such agreements or arrangements should consider adopting policies, procedures and training to ensure that relevant activities are identified by their employees and registered in a timely manner.