WSBI-ESBG welcomes the opportunity to comment on the IFRS Foundation’s Consultation Paper on Sustainability Reporting.
      
    
    
      Question 1: Is there a need for a global set of internationally recognised sustainability reporting standards?
(a)
 If yes, should the IFRS  Foundation play a role in setting these 
standards and expand its stand-ard-setting activities into this area?
(b) If not, what approach should be adopted?
Yes, we consider there is a need for a global set of internationally recognised sustainability report-ing standards.
Given
 the background and the expertise in creating financial reporting, 
WSBI-ESBG  considers the role of IFRS  should be leading the 
standard-setting process. We particularly value the transparency on due 
process procedures and the track record and expertise of the Board of 
IFRS. We consider IFRS  should provide itself with new members and new 
competencies.
Nevertheless,
 given the urgency of moving forward in non-financial reporting, we 
welcome the lead Europe has taken in this matter and we fully support 
Europe work on non-financial reporting. 
 
Question
 2: Is the development of a sustainability standards board (SSB) to 
operate under the governance structure of the IFRS  Foundation an 
appropriate approach to achieving further con-sistency and global 
comparability in sustainability reporting?
Yes,
 we consider the creation of a sustainability standards board (SSB) 
would be a good approach to achieve further consistency and global 
comparability in sustainability reporting.
In our view the SSB should be a parallel structure to the IASB, having the same highest hierarchy level.
We
 also consider it would be a good mechanism to merge of the global 
climate agenda, faster pro-gress is required for non-financial reporting
 communication and dialogue, nominating some mem-bers (for example, 1 or
 2 members) to be part of the two Boards.
 
Question
 3: Do you have any comment or suggested additions on the requirements 
for success as listed in paragraph 31 (including on the requirements for
 achieving a sufficient level of funding and achieving the appropriate 
level of technical expertise)?
In
 our view, it is crucial to count on the support and participation of 
global, regional, national and local initiatives, nevertheless we think 
the proper mechanism to do so would be through consulta-tions, requests 
for feedback, etc., but not having fixed seats on the Board, in order to
 maintain in-dependency and balanced composition of the BBS.
 
Question
 4: Could the IFRS  Foundation use its relationships with stakeholders to
 aid the adoption and consistent application of SSB standards globally? 
If so, under what conditions?
Yes,
 we consider that IFRS  Foundation could use its relationships with 
stakeholders, prevailing the focus on transparency, as business as usual
 in IFRS. Same transparency would be desirable regard-ing costs and 
expenses on developing and maintaining these relationships.
 
Question
 5: How could the IFRS  Foundation best build upon and work with the 
existing initiatives in sustainability reporting to achieve further 
global consistency?
Question
 6: How could the IFRS  Foundation best build upon and work with the 
existing jurisdic-tional initiatives to find a global solution for 
consistent sustainability reporting?
In
 our view it is crucial to count on the support and participation of 
global, regional, national and lo-cal initiatives, and jurisdictional 
initiatives, nevertheless we think the proper mechanism to do so would 
be through public consultations, requests for feedback, etc., not having
 fixed seats on the Board nor in other kind of structure (committees, 
technical groups, tasks forces, etc.), in order to maintain independency
 and balanced composition of the IFRS  structures.
 
Question
 7: If the IFRS  Foundation were to establish an SSB, should it initially
 develop climate-related financial disclosures before potentially 
broadening its remit into other areas of sustaina-bility reporting?
Question 8: Should an SSB have a focused definition of climate-related risks or consider broader environmental factors?
We
 consider disclosure related to all dimensions of sustainability 
(environmental, social and gov-ernance) should be addressed at the same 
time. Climate impacts and risks are directly linked to other 
environmental issues, and all of them could have social consequences, so
 that should be disclosed at the same time, giving a complete view to 
stakeholders. Hence, in our view, sustaina-bility reporting standards 
should be developed entirely from the beginning.
Sustainability
 Standards Board’s focus should include all dimensions of sustainability
 (environmen-tal, social and governance). One of the main objectives of 
the sustainability reporting is to respond to the demand of stakeholders
 to improve the consistency and comparability of sustainability 
re-porting, whatever the nature of material topics of the companies are.
 Prioritizing climate leaves behind other environmental aspects that 
could be key in terms of impact, risks, business opportu-nities…, 
depending on the company (for example, renewable energy generation has a
 low nega-tive impact on climate change, but could have high negative 
impact on biodiversity). Sustainability reporting should give a complete
 picture of companies, of all industries.
 
Question 9: Do you agree with the proposed approach to materiality in paragraph 50 that could be taken by the SSB?
WSBI-ESBG
 agrees with a double-materiality approach. As it is mentioned in the 
Guidelines on re-porting climate-related information of the European 
Commission (referred into the IFRS  consulta-tion), this approach covers 
both financial materiality and environmental and social materiality, in a
 way that includes all relevant information that is necessary for the 
understanding of a company.
If
 the development by SSB is gradualist and if the efforts of SSB focuses 
on the most relevant in-formation to investors and other market 
participants, we consider the double-materiality ap-proach should 
maintained, even prioritizing the most relevant topics.
 
Question
 10: Should the sustainability information to be disclosed be auditable 
or subject to ex-ternal assurance? If not, what different types of 
assurance would be acceptable for the infor-mation disclosed to be 
reliable and decision-useful?
WSBI-ESBG
 considers of paramount importance the sustainability information to be 
disclosed and be subject to external assurance. One of the main 
significant problems of sustainability infor-mation, identified by 
stakeholders, is the limited reliability and comparability it has.
Assurance is essential to ensure the reliability of disclosed information and to achieve the final goal of the reporting.
The
 type of assurance should depend on the company, beginning from limited 
assurance and improving it according to the relevancy and readiness of 
the indicators.
 
Question 11: Stakeholders are welcome to raise any other comment or relevant matters for our consideration.
•
	It would be very useful to have a tentative/indicative calendar of 
deadlines to give our feedback to the Consultation. This is an urgent 
topic and there are some other initiatives that could condi-tion/ 
complete/ overlap… the IFRS  initiative.
•	Timeline to develop sustainability standards board (SSB).
•	Timeline to sustainability standards.
WSBI-ESBG
      
      
      
      
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