Finalising EU sustainability reporting standards has become especially urgent to enhance the availability and comparability of sustainability information, provide banks with the sustainability information needed to scale sustainable finance and to address the problematic sequencing of ESG disclosure rules.
In
light of the continuing negotiations on the Commission’s proposal for a
Corporate Sustainability Reporting Directive (CSRD), the Association
for Financial Markets in Europe (AFME) has today published a paper
welcoming the progress made so far and highlighting priorities for the
Directive to be effective and proportionate.
Oliver
Moullin, Managing Director for Sustainable Finance at AFME, said:
“Putting in place an effective corporate sustainability reporting
framework is an urgent priority to enhance the availability and
comparability of sustainability information.
“Maximising
the compatibility and consistency of EU and international standards and
ensuring a proportionate approach to reporting on activities outside
the EU is essential for the effectiveness of the EU corporate
disclosures framework. The CSRD risks having a disproportionate impact
on internationally active companies, which will have to report on their
worldwide activities, including in jurisdictions where the necessary
data is not yet available.
“AFME
believes that it is important to ensure a proportionate application to
internationally active companies through limiting the scope of reporting
to EU activities, at least for an initial period, and introducing
greater proportionality in the scope of application to companies based
outside the EU.”
AFME’s paper “The importance of the international context for the CSRD”
raises these concerns, particularly in light of recent momentum towards
the development of international sustainability reporting standards.
AFME
also highlights the importance of maximising the compatibility and
consistency of EU standards with the forthcoming international
standards. It provides recommendations to introduce more proportionate
requirements in the proposal, including by:
-
limiting
the scope of reporting to EU activities and EU exposures to companies
that are subject to the same CSRD and Taxonomy transparency rules, at
least for an initial period; and
-
introducing greater proportionality in the scope of application to companies based outside the EU.
AFME has also published additional feedback addressing other key issues being discussed by the co-legislators, including:
-
Supporting
the Commission’s proposal for a proportionate inclusion of SMEs in the
scope of the requirements. The proposal takes a proportionate approach
by minimising the reporting burden through a dedicated, simplified
standard and by allowing three additional years for SMEs to start
reporting.
-
Raising
concerns with any further extension of the scope of the CSRD to non-EU
companies. Instead, AFME calls for greater proportionality and close
cooperation among international standard-setters to reduce fragmentation
and facilitate the flow of sustainability information across
jurisdictions.
-
Highlighting
the importance of maintaining the Commission’s proposed exemption for
subsidiaries to report separately where covered by a parent entity’s
consolidated report.
-
Supporting
concerns that have been raised with reporting on intangible assets
(such as information on intellectual and human capital) and suggesting
that companies could choose to provide additional disclosures on
intangible assets when they deem them material to their sustainability
profile.
-
Ensuring
that the legislation provides for appropriate sequencing of disclosures
by the non-financial and financial sectors, providing for financial
institutions to report under the CSRD one year after non-financial
companies, in line with disclosures under the Taxonomy Regulation.
AFME
© AFME
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