Following the European Commission’s announcement of its Omnibus Simplification Package at the end of February, both the Council and the European Parliament must now reach their own positions on the proposals, before the trilogue negotiations between all three bodies commence again.
At this pivotal stage in the process, we urge Members of the European Parliament and Member States to correct certain changes and measures included in the Omnibus package in order to stay true to the ambitions laid out in the original Corporate Sustainability Reporting Directive (CSRD) and Corporate Sustainability Due Diligence Directive (CSDDD).
Below, we cover the key elements in the Omnibus proposal for the CSDDD, their practical implications, and the necessary changes that must be made to prevent a complete backpedaling of the commitments to the EU Green Deal.
The Omnibus has proposed to:
These proposals will reduce the CSDDD’s ability to effectively address human rights violations and environmental harm in companies' value chains:
As a result, we call on the European Parliament and the Council to reject these changes by:
Without these changes, the CSDDD’s impact will be significantly watered down. We therefore urge the Council and the European Parliament to take note of our recommendations to maintain an effective due diligence process.
Due diligence under the Corporate Sustainability Due Diligence Directive (CSDDD) is designed to direct finite corporate resources towards the issues that matter most for people and the environment. At the heart of that effort is prioritisation, defined in Article 9 of the Directive. Having spoken about this topic at the RBA conference this week, I want to share some reflections on what good prioritisation looks like in practice and what pitfalls to avoid.
The Parliament proposal shows that many of the concerns raised through Frank Bold’s research and engagement with policymakers are now entering the legislative mainstream. But the negotiations ahead will determine whether the final framework is capable of addressing the structural weaknesses that continue to undermine trust in the sustainable investment market.
The European Commission has published its draft Delegated Regulation revising the European Sustainability Reporting Standards (ESRS). The revision follows the Omnibus I Simplification Package and is presented as a burden-reduction measure. Some of it is - but a closer reading reveals a set of changes that go well beyond simplification, departing from EFRAG's technical advice and disregarding formal recommendations from the European Supervisory Authorities. Many of these changes have significant implications for the quality and comparability of sustainability data available to the market and public.