Following the request of Commissioner Albuquerque, and after intense months of work from experts in the business, investor and audit community, as well national standard setters and civil society experts engaged officially in EFRAG, the revised ESRS are now publicly available and open for consultation until the end of September.
Although the number of datapoints has been drastically reduced, the standards maintain the core integrity necessary to fulfil CSRD obligations and uphold the EU’s climate neutrality objective for 2050 and other EU goals such as in the Clean Industrial Deal.
However, rollbacks of the legislation (as part of the Omnibus negotiations) or further cuts in the standards would seriously undermine the EU's credibility and risk compromising these foundational goals.
The revised ESRS retain essential disclosures on:
The simplifications are substantial but targeted:
New significant reliefs were introduced, which rely on the expectation that they will not be misused. Excessive use of these reliefs would significantly undermine comparability and relevance of sustainability disclosures.
Any further simplification or cuts to the standards risks compromising Europe’s green transition climate goals.
Some MEPs in the EPP or ECR groups, as well certain pressure groups and lobbyists are arbitrarily proposing caps on the number of data points in the ESRS, without a clear understanding of how sustainability standards are constructed. The ESRS use a highly granular method for counting data points—for example, a single disclosure requirement to describe the “content, objective, and scope of the policy” is counted as three distinct data points. These elements, however, are essential in ensuring the reported information is meaningful and complete.
Despite the politicised nature of the debate, there is broad agreement across all political groups in the European Parliament and among EU Member States on the need for alignment with global sustainability reporting frameworks—particularly the IFRS Sustainability Standards. For context, the IFRS includes over 200 data points, covering only general and climate-related information relevant to financial performance, whereas the revised ESRS have been streamlined to 350 data points, while encompassing the full range of ESG topics and addressing both impact and financial materiality.
Overall, the revised ESRS presented by EFRAG on Wednesday has succeeded in simplifying the EU sustainability reporting standards into a manageable but still effective framework for the EU’s climate goals.
In mid-December, the European Commission acknowledged a large part of the arguments put forward by the Czechia in an effort to prevent the expansion and continuation of illegal mining at the Turów mine in Poland, that endangers the sources of drinking water for thousands of people in the Liberec region and, according to new studies, has serious impacts on groundwater in Germany as well. Frank Bold's lawyers, who defend the interests of Czech citizens, have long been involved in the case.
The Frank Bold Society and the Neighbourhood Association Uhelná called on the Czech government today to be more consistent in its negotiations with Poland over mining at the Turów brown coal mine. According to both organisations, the government did not have enough information or time to prepare an agreement that would truly protect Czech interests. Moreover, the government has acted in a non-transparent manner by failing to inform the public in advance of the terms of the agreement being prepared, which should lead to the withdrawal of the action against Poland at the EU Court of Justice. The organisations have therefore drawn up a document with seven basic demands on which the Czech side should insist.
The European Commission recently introduced a draft of the revised EU ETS Directive which, among other things, proposes that 100 % of ETS revenues should be used for environmental measures. We welcome this idea but we’re also sceptical about how the ETS revenues are used in the Czech Republic. Therefore, we have prepared an analysis mapping the use of ETS revenues in Czech Republic and sent it to the European Commission as an input for the recent public consultation. The main conclusions are presented below.