The European Fund and Asset Management Association (EFAMA) calls on the European Commission to reflect EFRAG´s recommendations for mandatory European Sustainability Reporting Standards in the upcoming NFRD review.
      
    
    
      Currently, the lack of quality data on how companies
                    perform against sustainability metrics stands out as a
                    fundamental challenge to leveraging private capital
                    addressing the European Green Deal funding gap. EFAMA
                    therefore believes that accelerated development of
                    mandatory European Sustainability Reporting Standards could
                    become a game-changer unleashing the impact of sustainable
                    finance.
EFRAG´s proposals for the standard-setting process
                    are positive as they:
- Recognise the “insufficient
                    quality of sustainability reporting” and the “specific
                    challenges financial institutions face in reporting their
                    sustainability impacts”. By addressing the
                    inconsistencies between the recently adopted sustainable
                    finance legislative initiatives, mandatory European Sustainability
                    Reporting Standards (ESS) can improve the integration of
                    ESG into investment decisions and support the fulfilment of
                    asset managers´ own disclosure requirements. For example,
                    disclosures following the ESS  under the revised NFRD would serve as the primary source of input for financial
                    institutions´ reporting requirements imposed by the EU
                    Taxonomy KPIs and the SFDR.   
- Aim to operationalise the
                    double materiality concept and strengthen the interactions
                    between impact and financial materiality perspectives.
                    This link could be supported by the proposed integration of
                    sustainability statements in management reports.  
- Recommend improving the quality, availability, and
                    usability of sustainability reporting “in terms of
                    reporting structure and presentation”, facilitating its
                    digitisation. EFAMA
                    believes that ESS  disclosures should be channeled into the
                    European Single Access Point, which should prioritise the
                    centralisation of ESG company data on the principle of open
                    access.  
- Set strong conceptual guidelines that strike the
                    right degree of inclusiveness when defining the range of
                    stakeholders and boundaries of value chain reporting. These
                    would be complemented by governance duties for corporate
                    directors under the Sustainable Corporate Governance initiative.   
- Recognise the need for an urgent solution, and that
                    the ESS  should follow a phased, “climate first approach”,
                    prioritising disclosures with “advanced standards on
                    climate change”.   
- Recommend providing input and contribute to
                    international standard-setting initiatives in a
                    “co-constructive” spirit.”
 
 
We also find that the information reported under an
                    ESS  can help corporate directors set credible targets and
                    sustainability objectives, and asset managers perform their
                    role as stewards of investee companies, contributing to the
                    objectives of the sustainable corporate governance
                    initiative. 
Dominik Hatiar, Regulatory Policy Advisor, comments:
                    “If the  ESS  company
                    disclosures become available in 2024 [based on the
                    financial year 2023], financial institutions will still
                    face a two-year ESG information gap for their own
                    sustainability reporting obligations under the Taxonomy
                    green asset ratios and Level 2 SFDR, which apply as of 1
                    January 2022. 
                    Therefore, the NFRD review needs to be completed as
                    swiftly as possible”.
“EU´s
                    sustainability disclosure ecosystem should drive
                    cooperation towards a globally accepted system by
                    leveraging alignment with existing, highly relevant
                    frameworks, such as SASB and TCFD”.
EFAMA  believes
                    that ESS  are essential to the achievement of the EU´s Green
                    Deal objectives and evolving sustainable finance policies,
                    and at the same time, drive cooperation towards convergence
                    behind a global sustainability reporting architecture.
EFAMA
      
      
      
      
        © EFAMA - European Fund and Asset Management Association
     
      
      
      
      
      
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