Net-Zero Asset Owner Alliance Statement on the draft European Sustainability Reporting Standard E1 Climate change

09 August 2022

The UN-convened Net-Zero Asset Owner Alliance, a group of 74 leading investors with $10.6 trillion in assets, supports and warmly welcomes the climate change Exposure Draft from the European Financial Reporting Advisory Group (EFRAG).

Günther Thallinger, Chair of the Net-Zero Asset Owner Alliance Steering Group and Member of the Board of Management of Allianz SE said:

“The Alliance supports the high ambition of EFRAG’s climate change exposure draft; the alignment of 1.5c pathways, mandatory scope 1, 2 and, where relevant, scope 3 emissions reporting, as well as mandatory target setting and progress reporting. Yet, careful consideration of the how climate change and 12 other exposure drafts are phased-in, the EFRAG’s approach to rebutting the presumption of materiality, and coherence with other reporting standards, notably ISSB, are needed to ensure high quality and effective implementation of this new and important regulation.”

As noted in the Alliance’s statements on the US SEC and ISSB consultations, the current absence of standardised, comparable and granular climate-related disclosures from companies represents a significant barrier and cost to asset owners; limiting our ability to incorporate climate-related issues into investment decision-making and to implement effective stewardship and portfolio design strategies. The proposals for European Sustainability Reporting Standards (ESRS) by EFRAG, in tandem with those from the US SEC and ISSB, represent an opportunity to change this.

In particular, Alliance members wish to:

1 Recognise the progress made in developing and publishing the high ambition and granularity of the ESRS E1 Exposure Draft.

The Alliance is notably supportive of the proposals as regards alignment with a 1.5°C pathway, mandatory scope 1, 2 and, where material, scope 3 GHG emissions reporting, as well as mandatory reporting on climate-related targets and progress achievement. These disclosures are critical for asset owners to assess and manage the risks and opportunities arising from climate change; as well as enable asset owners to increase their ability to finance clean energy solutions and drive change in the real economy. We also highly welcome the provisions on climate scenario analysis, climate-related risk management and transition planning.

2 Highlight priority aspects of sector-specific reporting.

The Alliance, in particular, recommends the inclusion of certain highly relevant and decision-useful sector-specific metrics for the 12 most energy-intensive sectors (please refer to the annex) following an ambitious timeline, at the latest in EFRAG’s sector-specific standards for those sectors. If certain sectors are prioritised over others, we urge EFRAG to focus on these 12 sectors as soon as possible, also, but not only to cater to financial institutions’ information demands.

Companies in these sectors should be required to report scope 1, 2 and, where material[1], scope 3 GHG emissions (as required in ESRS E1); yet, in addition to historical data, the sector-specific standards for those sectors should also include sector-specific requirements on a forward-looking basis (at 5-year and 10-year intervals).

 3 Highlight key issues where further work and revision of the ESRS are needed. In particular:

When deciding upon prioritization, the maturity of metrics as well as the decision-usefulness for stakeholders, especially investors, should be taken into account, where information of quantitative and, thus, more comparable nature is particularly relevant.

In regards to prioritization, it is also key that at least the 12 high-impact sectors referred to above are prioritized when developing sector-specific standards (see above).

The Alliance recognises the efforts made to consider existing frameworks and the emerging ISSB standards. Yet, the Alliance would encourage all parties to continue the technical dialogue and make further efforts to avoid the fragmentation of climate-related and other sustainability-related reporting. In particular, EFRAG and ISSB should have a common structure and presentation of climate change, work towards resolving differences in terminology and since ESRS (incl. E1) go beyond ISSB global baseline, the goal should clearly be that complying with ESRS automatically means complying with ISSB.

This would limit the reporting burden on organisations and thereby reduce the time needed to achieve consistent, comparable and reliable climate change reporting, but also ensure that investors (and other stakeholders) receive globally comparable sustainability data.

UNEPFI


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