Clear and pragmatic sustainability reporting standards will be paramount to achieving the EU Green Deal’s ambitions and help turn Europe into the first climate neutral continent by 2050.
      
    
    
      As the umbrella organisation for 1 million professional 
accountants, we provided our feedback
 to the first set of draft European Sustainability Reporting Standards 
(ESRS) issued by the European Financial Reporting Advisory Group (EFRAG)
 Project Task Force on ESRS. We have also sent a letter to Commissioner McGuinness outlining our main comments.  
The significance of the Corporate 
Sustainability Reporting Directive (CSRD) mandating ESRS cannot be 
underestimated. For years, we have called
 to align the patchwork of voluntary standards that companies have been 
using to report on sustainability topics. See our statement welcoming the CSRD. 
We highlight key points on our ESRS feedback below.  
Align standards globally  
We strongly encourage the European 
Commission and its technical advisor EFRAG  to seize the opportunity of 
the CSRD to work with the International Sustainability Standards Board 
(ISSB) and the Global Reporting Initiative (GRI).  
We believe
 these parties should focus on aligning their standards to facilitate 
comparability and analysis, improve transparency and minimise reporting 
burden. See also our responses to the ISSB’s General Requirements and Climate Disclosures Exposure Drafts (July 2022).  
Clarify and simplify ESRS  
We fully support the double materiality approach as impacts to people and the environment and enterprise value are interlinked. 
To be effective, standards
 should be simple and clear. Companies should be able to operationalise 
them by establishing simple internal processes, which are the backbone 
of reporting, assurance and enforcement. On this, we strongly advise 
EFRAG  to: 
- revise
 the too granular requirements, which may impair effective reporting, 
obscure relevant information, and lead to a compliance exercise  
 - improve
 the double materiality concept, including clarifying the terminology, 
providing more application guidance and illustrative examples which will
 in turn, make the ‘rebuttable presumption’ redundant 
 - align terminology and approach with the ISSB and GRI. 
 
Phase-in ESRS’ application 
The CSRD requires a phase-in approach for 
applying standards, including a 3-year relief on value chain reporting. 
EFRAG  should adopt a smart phasing-in approach, starting with the 
critical disclosure requirements that capture transformations of 
business models. Gradually, EFRAG  should add disclosure requirements to 
comply with EU legislation and then sector-specific ones. Only after 
that, it should expand requirements to value chain disclosures. 
focus on ‘less is more, and fast’ 
The ESRS’ legitimacy will heavily depend on a robust due process. The
 climate crisis is accelerating and after decades of inaction there is 
no time to waste. However, speed should not come before quality and due 
process. Instead, to move fast, we should remember that ‘less is more’ 
and ‘less is fast’. Focus first needs to be on a few critical indicators
 that show whether, and how, businesses adapt. This will be faster and 
more effective than rushing the development of an exhaustive compliance 
machinery. 
Accountancy Europe
      
      
      
      
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