EFAMA welcomes proposed transitional period under Art. 8 of the taxonomy and calls for its alignment with SFDR taxonomy-related product disc

07 June 2021

“Consistent, comparable and well-sequenced taxonomy alignment reporting at entity and product level is essential to the proper functioning of the EU´s sustainable finance regime..."

EFAMA has published its response to a consultation on the draft delegated act under Article 8 of the Taxonomy.

 

Dominik Hatiar, Regulatory Policy Adviser at EFAMA, commented: Consistent, comparable and well-sequenced taxonomy alignment reporting at entity and product level is essential to the proper functioning of the EU´s sustainable finance regime. We welcome the proposed transitional period for 2022 under the Article 8 draft delegated act entity disclosures. However, the resulting absence of taxonomy-alignment information will inhibit other disclosure obligations taking effect in 2022. Therefore, the application timelines of the SFDR taxonomy-related product disclosures and of the minimum proportion of taxonomy-aligned investments requirements in client´s sustainability preferences under MiFID II and of the EU Ecolabel, should be aligned with this transitional period”.

 

EFAMA propose six recommendations to ensure consistent taxonomy implementation timelines and metrics under the EU´s sustainable finance regime:

 

  1. Application timelines of taxonomy-related product disclosures in SFDR, ESG updates to MiFID II and IDD delegated acts and the Ecolabel should be aligned with the proposed transitional period.

 

  1. Financial undertakings´ taxonomy disclosures cannot take effect at the same time as disclosures of investee-companies.

 

  1. Taxonomy eligibility disclosure requirements during the transitional period could mislead investors.

 

  1. Taxonomy alignment methodologies at entity and product levels need to be consistent.

 

  1. Voluntary taxonomy disclosures by non-NFRD firms are needed sooner than in 2025.

 

  1. Screening of all assets under management against the taxonomy at the entity and SFDR Article 6 product-level should be optional.

 

The full response to the consultation can be accessed through the following link 

EFAMA


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