What the Clause 4 changes really mean for organizations, auditors and consultants.
Climate change may be the most visible change in Clause 4, but it is not the whole story.
A fellow auditor recently shared a story with me about an audit that had gone off track.
The conversation with the auditee had started with Clause 4.1 and the requirement for the organization to determine whether climate change was a relevant issue.
The auditee was openly sceptical about climate change and made it clear that they did not believe it was relevant to their organization.
Rather than bringing the conversation back to the quality management system, the discussion became increasingly personal. The auditor pushed harder. The auditee pushed back.
Before long, they were no longer discussing the organization’s context or its ability to achieve the intended results of its quality management system.
They were arguing about climate change.
When the auditor told me the story, what stood out was not which person was right or wrong in their personal views. It was that the audit had moved away from the audit criteria.
In ISO/FDIS 9001:2026, Clause 4.1 states:
“The organization shall determine whether climate change is a relevant issue.”
At first glance, that wording seems simple. But it leaves an important question unanswered.
Relevant to what?
Read on its own, it almost sounds as though the organization is being asked to decide whether climate change is relevant in general.
That is not the purpose of Clause 4.1.
The real question is whether climate change is relevant to the organization’s context and its ability to achieve the intended results of its quality management system.
That is a very different conversation.
It is almost like asking whether rain is relevant.
The answer will be different if you are planning a picnic, pouring concrete or operating a data centre. The issue may be the same, but its relevance can only be determined within the circumstances in which it is being considered.
Climate change is no different.
Clause 4.1 is not asking the organization to form a general opinion about climate change. It is asking the organization to determine whether climate change could affect its context or its ability to achieve the intended results of its quality management system.
This example points to something broader about the changes to Clause 4 in ISO/FDIS 9001:2026.
The wording may appear straightforward, but how it is interpreted and applied will determine whether Clause 4 supports meaningful decision-making or becomes another conformance exercise.
So, what has changed in Clause 4, and what will those changes mean for organizations, auditors and consultants?

That principle matters in auditing. Before reaching a conclusion, we need to understand the organization, its circumstances and the evidence supporting its decisions.
This is also reflected in guidance published by the ISO 9001 Auditing Practices Group on auditing climate change issues.
The guidance explains that the overall intent of Clauses 4.1 and 4.2 has not changed. Organizations have always been required to identify the internal and external issues that could affect the intended results of their quality management system. The addition of climate change does not prescribe what conclusion an organization must reach. It requires climate change to be considered as part of that process.
For auditors, the task is therefore not to decide on behalf of the organization that climate change is relevant. It is to evaluate whether the organization has considered the issue, whether its conclusion is reasonable within its context and whether relevant climate-related requirements have been addressed through the quality management system.
Looking at the whole of Clause 4
Climate change is only one part of the Clause 4 conversation.
What this example really highlights is the importance of interpreting each requirement within the broader purpose of Clause 4.
Clause 4 is where the organization establishes the foundation for its quality management system. It considers the issues that may affect the organization, identifies the interested parties and requirements that matter, defines the scope of the QMS and determines the processes needed to make the system work.
The changes in ISO/FDIS 9001:2026 do not completely rewrite Clause 4, but they do sharpen several expectations across Clauses 4.1, 4.2, 4.3 and 4.4.
Taken together, the changes ask organizations to be clearer about:
- which internal and external issues are relevant
- which interested-party requirements will be addressed
- how the scope reflects the organization’s context
- how QMS processes are determined, applied and maintained
So, while climate change may be the most visible change in Clause 4.1, it should not distract us from the broader question:
Does the organization genuinely understand the context in which its quality management system operates?
How Clause 4 turns context into a working QMS
Clause 4 still follows a clear logic. The organization considers what matters, who matters, what the quality management system covers, and how its processes will operate. The graphic below shows that flow and highlights where the 2026 revision introduces a clearer expectation, where the wording has been refined, and where the intent remains largely unchanged.

4.1 Understanding the organization and its context
Clause 4.1 still requires the organization to determine the internal and external issues that are relevant to its purpose and strategic direction, and that affect its ability to achieve the intended results of the quality management system.
The most visible point is the explicit reference to climate change.
The organization is required to determine whether climate change is a relevant issue. That does not mean the conversation needs to begin with the words climate change, particularly if those words are likely to pull the discussion into personal views or debate.
Sometimes it is more useful to begin with what the organization has already experienced, rather than asking people to speculate about what might happen.
Useful questions include:
- Has the organization experienced floods, storms, bushfires, heatwaves or other extreme weather events?
- Did any of those events affect operations, employees, suppliers, customers or delivery?
- Have weather-related disruptions changed insurance, infrastructure, resource availability or customer requirements?
- What did the organization learn, and has anything changed in the QMS as a result?
These questions keep the discussion practical and evidence based. They also help the organization determine relevance without turning the conversation into an argument about climate change itself.
The requirement does not prescribe the answer. It requires the organization to consider the issue and reach a reasonable conclusion.
Put Clause 4.1 into Practice
Ready to move from discussion to practical application? The Clause 4.1 Context of the Organization Toolkit will help you identify, evaluate and document the internal and external issues that are genuinely relevant to your organization and its quality management system.
4.2 Understanding the needs and expectations of interested parties
Clause 4.2 continues to require the organization to determine:
- the interested parties that are relevant to the quality management system
- the relevant requirements of those interested parties
The wording places clearer emphasis on deciding which interested-party requirements will be addressed through the QMS.
This matters because many organizations create a list of interested parties, record a few broad expectations, and stop there. The real decision is not simply who is interested in the organization. It is which requirements are relevant to the QMS and which of those the organization will address.
The note in Clause 4.2 also reminds organizations that relevant interested parties can have requirements related to climate change.
As with Clause 4.1, the conversation does not need to begin with climate change as a broad topic. It may be more useful to look at what interested parties have already asked for, changed or introduced.
Useful questions include:
- Have customers introduced new environmental, resilience or supplier requirements?
- Have insurers changed conditions, exclusions or evidence requirements?
- Have regulators, landlords, funding bodies or parent companies introduced new expectations?
- Have any of these requirements affected products, services, operations or the QMS?
- Which of these requirements has the organization decided to address through the QMS?
These questions keep the discussion practical and evidence-based.
The organization is not expected to treat every expectation from every interested party as a QMS requirement. It should be able to explain why an interested party is relevant, which of its requirements matter, and how those requirements are being addressed through the quality management system.
4.3 Determining the scope of the quality management system
There does not appear to be a significant change to the intent of Clause 4.3.
The organization still needs to determine the boundaries and applicability of its QMS by considering:
- the internal and external issues identified under Clause 4.1
- the relevant interested-party requirements identified under Clause 4.2
- the organization’s products and services
The scope should describe what the QMS actually covers.
It should not be treated as wording produced only for the certificate. It needs to reflect the organization’s activities, locations, products, services and operational boundaries.
A useful test is simple:
Would someone reading the scope understand what this quality management system genuinely applies to?
The context and interested-party analysis should lead into the scope. If those activities change, the scope may also need to be reviewed.
4.4 Quality management system and its processes
The process-based intent of Clause 4.4 remains substantially the same.
The organization still needs to establish, implement, maintain and continually improve its QMS, including the processes needed and their interactions.
This includes determining matters such as:
- process inputs and expected outputs
- the sequence and interaction of processes
- criteria and methods for effective operation and control
- resources
- responsibilities and authorities
- risks and opportunities
- process evaluation
- changes needed to achieve intended results
The important point is that the context work in Clauses 4.1 to 4.3 must eventually show up here.
If an issue is genuinely relevant, an interested-party requirement matters, or the scope establishes a particular boundary, there should be some effect on how the QMS is designed or operated.
Otherwise, Clause 4 risks becoming a collection of registers sitting beside the system rather than shaping it.

Next Steps For You
1. Review what has already happened
Start with evidence, not assumptions.
Look back at:
- weather events or disruptions that affected operations, suppliers, employees or delivery
- new requirements introduced by customers, insurers, regulators or other interested parties
- changes in the organization’s context that may affect the intended results of the QMS
This gives the organization a practical basis for deciding what is relevant.
2. Update the Clause 4 decisions
Review Clauses 4.1 to 4.4 together, rather than as four separate exercises.
Confirm:
- which internal and external issues are relevant
- which interested parties and requirements matter to the QMS
- whether the QMS scope still reflects the organization
- whether the required processes address those decisions
The aim is not to create more documents. It is to make clearer decisions.
3. Check that the QMS reflects those decisions
Trace the outcomes of Clause 4 into the working system.
Look for evidence in:
- risks and opportunities
- objectives and plans
- operational controls
- supplier management
- emergency or business continuity arrangements
- process responsibilities and resources
- management review
If the decisions made in Clause 4 cannot be seen anywhere else in the QMS, they are probably sitting in a register rather than shaping the system.
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