Insurance Europe has responded to a call for feedback on the EU Platform on Sustainable Finance’s (PSF) draft report on minimum safeguards (MS). 
The
 draft report, which aims to advise the European Commission on the 
application of MS as set out under Article 18 of the EU Taxonomy 
Regulation, is welcomed by the industry. 
The insurance industry 
also agrees with the PSF’s proposed two-pronged approach, which includes
 two sets of criteria for the establishment of non-compliance with MS: 
one related to adequate due diligence processes implemented in companies
 (ie relying on corporate reporting and disclosure) and the other 
related to the actual outcome of these processes or the company’s 
performance (ie relying on external checks on companies).
Insurance Europe also wishes to highlight the following points:
- European
 insurers welcome the fact that the report clearly accounts for upcoming
 EU legislation (eg the Corporate Sustainability Due Diligence Directive
 (CSDDD) and the Corporate Sustainability Reporting Directive (CSRD)), 
but caution against setting overly prescriptive requirements for the 
short transition period. 
- Compliance with the upcoming CSDDD should always be considered as fulfilling the MS. 
- The
 PSF's report should clarify the amendments needed in the EU’s 
sustainability reporting standards (ESRS) to ensure complete compliance 
with the MS. It is essential to integrate MS in the ESRS to ensure equal
 data availability and to avoid fragmentation of reporting requirement 
and data sources.
- The proposed approach is not suitable given 
current data availability and reliability. Criteria, which (as of now) 
rest on ESG rating agencies’ collection of information, should be 
developed because many instances will remain where data supporting the 
two-pronged approach is not available, at least for the foreseeable 
future.
- Regarding external checks, the PSF should rethink the 
proposed criterion on final conviction and provide for a clear framework
 and timeframe according to which a company can be deemed compliant with
 the MS again after a violation. 
- The insurer-policyholder relationship should not be deemed equivalent to other business relationships.
- Better alignment on the definition of good governance within the EU sustainable finance framework is required. 
full response
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