InsuranceEurope: Insurers welcome EC proposals for a Corporate Sustainability Due Diligence Directive; call for refinements
25 May 2022
The EC proposal for a CSDD Directive is intended to accelerate and deepen corporate sustainability actions and transition planning already being undertaken by many companies, and the insurance industry supports this objective.
Insurance Europe has published its response to a consultation conducted by the EC on its proposal for a Corporate Sustainability Due Diligence (CSDD) Directive.
Economic
activities must avoid causing or contributing towards adverse impacts
on human rights and the environment. Furthermore, the industry welcomes
corporate decisions that duly take account of a broad spectrum of
considerations relevant to both companies’ impact on people and the
planet, as well as on long-term financial performance.
The EC
proposal for a CSDD Directive is intended to accelerate and deepen
corporate sustainability actions and transition planning already being
undertaken by many companies, and the insurance industry supports this
objective.
In this respect, the insurance sector welcomes the
fact that the Directive sets out a harmonised framework on corporate due
diligence requirements. This will ensure a regulatory level playing
field, including with non-EU companies which are also covered by the
Directive, and prevent divergences between member states.
The insurance sector would, however, like to bring to the attention of legislators the following key elements:
- Consistency
and alignment with other EU legislations is essential to avoid a
fragmented framework regarding due diligence which could lead to real
difficulties in the practical implementation of the Directive. It must
be made explicit in the Directive that specific sectoral obligations
should prevail.
- Due diligence requirements should apply at consolidated level only.
- The
definition of value chain needs to be reviewed to fully reflect the
insurance sector’s specificities and limited to established direct
business partners.
- Civil liability rules should not be included
in the Directive. If Article 22 is retained, it is essential that due
diligence requirements are appropriate, clear, proportionate,
achievable.
- Further clarity is needed in terms of supervision.
- The 500+ headcount criterion of the proposed directive is too low and should be better aligned with national legislation.
InsuranceEurope
© InsuranceEurope