User:Cris0107/Sustainability reporting

Sustainability reporting refers to the disclosure, whether voluntary, solicited, or required, of non-financial performance information to outsiders of the organization. Generally speaking, sustainability reporting deals with information concerning environmental, social, economic and governance issues in the broadest sense. These are the criteria gathered under the acronym ESG (Environmental, social and corporate governance).

The introduction of these non-financial information in published reports is seen as a step forward in corporate communication and considered as an effective way to increase corporate engagement and transparency.

Sustainability reports help companies build consumer confidence and improve corporate reputations through social responsibility programs and transparent risk management. This communication aims at giving stakeholders broader access to relevant information outside the financial sphere that also influences the company's performance.

In the EU, the mandatory practice of sustainability reporting for certain companies is regulated by the Non-Financial Reporting Directive (NFRD), recently revised and renamed Corporate Sustainability Reporting Directive (CSRD). An increasing number of organizations are providing frameworks for sustainability reporting and are issuing standards or similar initiatives to guide companies in this exercise.

There is a wide range of terminology used to qualify this same concept of sustainability reporting: non-financial reporting, extra-financial reporting, social reporting, CSR reporting or even socio-environmental reporting.

History
Corporate sustainability reporting has a history going back to environmental reporting.

This practice is rooted in the multidimensional concept of CSR and in the stakeholders' vision of corporate governance in Europe, which insists on the importance of understanding the company as an entity with relationships with its environment. According to Freeman's theory, the company's shareholders are no longer the only ones to be considered, but also its employees, customers, suppliers, local communities, governments: the society in the broadest sense.

With the emergence of this approach, the first response of many companies has been to expand the communication of their achievements in terms of social responsibility. Information disclosed by companies themselves are the first indicators that can be received by the public in order to verify whether the decisions taken meet the announced commitments, as well as its own interests.

The obligation of accountability is therefore often assimilated to reporting and is addressed, in the first place, to the company's stakeholders. This means that both shareholders and society in general are concerned, while also taking future generations into account.

Recently, there has been a growing interest in communications relating to the extra-financial aspects of organizations: CSR performance is now one of the factors considered in investment decisions. The practice of sustainability reporting has existed in a scattered way since the 1980s but has really expanded over the last twenty years.

This is notably due to the global awareness of the ecological crisis and the common interest in sustainable development, but also to the numerous corporate governance scandals of large companies (Enron scandal, Parmalat Financial Fraud…) over the last two decades or the financial crisis of 2008.

In addition to eroding stakeholder trust, these circumstances have increased their activism for broader transparency and ensuring better information from companies.

In this context, the need for sustainability reporting has gradually emerged. It was carried out by companies initially on a voluntary basis, with the aim of mitigating some of the skepticism of users of financial reports and restoring the trust of stakeholders by expressing a willingness to behave responsibly.

The publication of non-financial reports thus began in an ad hoc and rather anecdotal manner, confined to a few subjects deemed worthy of interest by the companies themselves. A copy effect, combined with latent pressure from stakeholders, subsequently contributed to the acceptance and renewal of this approach, which gradually became more structured. Today, these reports are common: 93% of the world's two hundred and fifty largest companies publish them annually. Indeed, CSR and its concrete implementation are increasingly valued by public opinion.

This interest has led to the emergence of reference frameworks, guidelines, standards and regulations in this area. In addition to helping and guiding companies, this range of resources has also allowed for a certain standardization of both the information disclosed and the method of communication.

The objectives of developing guidelines are to provide companies with a concrete methodology and to make the published data understandable, credible and comparable for their users. Reporting guidelines are issued either by private non-governmental organizations (whose adoption by companies is therefore voluntary), or more recently by governments on the basis of mandatory standards. Indeed, for some companies, this disclosure has been made mandatory (see next section). In line with these developments, some consulting firms have started ESG advisory services and help companies to draft their sustainability reports.

There are a variety of reasons that companies choose to produce these reports, but at their core they are intended to be "vessels of transparency and accountability" Often, they are also intended to improve internal processes, engage stakeholders and persuade investors.

Improved disclosure of non-financial information can have other benefits for reporting companies. In particular, the adoption of sustainability reporting has been found to have a positive impact on company performance and value. OECD suggests that companies showing sustainable performance on ESG criteria and communicating effectively about them seem to enjoy better financial performance. These companies generally benefit from a more diversified investor base, for example through their inclusion in actively managed investment portfolios or sustainability indices. In addition, companies that effectively communicate their non-financial engagements and have a high performance in this area are more likely to attract and retain talents thanks to their greater social credibility, as this stimulates employees' motivation and meets their values.

As a matter of law, in the United States, the materiality principle controls whether a publicly traded corporation must disclose certain information, that is: "a fact is material if there is a substantial likelihood that the fact would have been viewed by a reasonable investor as having significantly altered the ‘total mix’ of information available."

In this case, some authors have examined and applied several factors (including the percentages of managed investment assets that are screened for ESG criteria, plus the fact that over 90% of large publicly traded companies publish ESG data) and concluded that ESG data qualifies as being material. It has also been suggested that other organizations that issue securities may also be well-advised to also engage in sustainability reporting.

European Union
In Europe, the legislative framework for sustainability reporting practices is based on Directive 2014/95/EU (Non-Financial Reporting Directive or NFRD), which provides a uniform regulatory framework for non-financial information for EU Member States. This Directive applies to large public interest undertakings with more than 500 employees on average during the financial year, both single undertaking and consolidated groups. Companies falling within the scope of the Directive must also have a balance sheet total exceeding EUR 20 million and/or a turnover exceeding EUR 40 million, where applicable, on a consolidated basis. By 2021, approximately 11,600 companies in Europe were in its scope of application.

Directive 2014/95/EU of the European Parliament and of the Council of 22 October 2014 amends Directive 2013/34/EU in relation to the disclosure of non-financial and diversity information by certain large undertakings and groups. Two articles (19a and 29a) are inserted into Directive 2013/34/EU, now requiring, for the first time, certain companies to disclose information on how they operate and manage social and environmental challenges. This updated directive applies to all Member States of the European Union. They must bring into force the laws, regulations and administrative provisions needed to comply with the Directive.

A revision process of Directive 2014/95/EU was initiated in January 2020 with the aim of improving the quality and reliability of non-financial reporting and reducing the administrative burden on companies in terms of reporting. A broad public consultation was then organised from February to June 2020 to gather input and opinions from various stakeholders regarding the review of the Directive's provisions. The outcome of this consultation is the European Commission's proposal on 21 April 2021 to revise the NFRD by introducing the Corporate Sustainability Reporting Directive (CSRD).

Content/Scope of application
Companies that fall within the scope of the EU Directive 2014/95/EU on non-financial reporting, the main EU-wide initiative in this area, must publish information on the following areas:


 * Environmental protection
 * Social responsibility and treatment of employees
 * Respect for human rights
 * The fight against corruption and bribery
 * Diversity on company boards (in terms of age, gender, education and professional experience).

For each category, the company is also required to briefly describe the group's business model, describe the policies that are applied in these areas, provide the results of these policies, establish the risks related to these areas and finally establish the non-financial KPIs (Key Performance Indicators) of these areas. The information should also be published with the objective to understand the development, performance, position and ultimately the impact of the firm's activities. Under this directive, companies have however no obligation as to how and where they publish this information. They can therefore base themselves on various international or local frameworks depending on their preferences and needs.

In practice, most companies comply with the requirement to describe in detail the policies they apply, particularly in the social and environmental fields. Due diligence policies and procedures relating to human rights and corruption also appear regularly in organisations' reports, but to a lesser extent than social and environmental policies. The reasons for this divergence in the importance an organisation places on certain areas rather than others stem notably from differences in the maturity of the organisation, the evolution of the areas and their relevance to companies over time, and the place of these areas in relation to a company's supply chain. The presentation of policies, KPI s and risks remains a highly disparate practice.

Initiatives
Organizations can improve their sustainability performance by measuring (EthicalQuote (CEQ)), monitoring and reporting on it, helping them have a positive impact on society, the economy, and a sustainable future. When it comes to reporting, companies have a certain amount of freedom in the drafting of their statements, given the absence of any binding law on this subject.

However, various initiatives (national, European or international) are developing standardized methodologies to help companies build their sustainability reports which, according to the European Directive 2014/95/UE, have to be cited by the companies using them. Some of these are mentioned in the same Directive and in the Commission's Communication COM (2017) 215/1 setting out guidelines on non-financial information.

The key drivers for the quality of sustainability reports are the guidelines of the Global Reporting Initiative (GRI), because it is the most widely used benchmark by companies worldwide given its reliability. It provides opportunities for comparison of information related to the economic, environmental, and social impact of undertakings internationally. In addition, the SDG Compass has been created by GRI, the UN Global Compact and the World Business Council for Sustainable Development (WBCSD) with the aim of linking the GRI standards to the Sustainable Development Goals. This document provides guidance on how to report the company’s contribution to the SDGs by leveraging the GRI standards.

A series of other initiatives exist among which we can mention the most prominent ones on the sustainability and CSR reporting scene :


 * The International Integrated Reporting Council (IIRC): guide the relevant integration of financial and non-financial information in company’s reports.
 * Account Ability's AA1000 Series: establishes the basic principles to be addressed in a non-financial report without guiding the impact measurement.
 * United Nations (UN) Global Compact's Communication on Progress (COP): establishes 10 core principles (on human rights, labor/environmental standards and anti-corruption) on which companies measure their performance.
 * Organization for Economic Cooperation and Development Guidelines (OECD): international standards set by governments for responsible business by multinationals.
 * International Labour Organization Conventions (ILO): concerning right at work.
 * International Organization for Standardization Standards (ISO): providing non-binding international norms standards.
 * The NFRD and the Guidelines Communication of the Commission.
 * The Eco-Management and Audit Scheme (EMAS): created by the European Commission, it helps companies to improve their environmental efficiency.

Criticisms
Despite its purpose of having a positive impact on society, sustainability reporting is the subject of various criticisms.

First, while companies can refer to the reporting framework that best fits their industry and organization, this freedom implies a lack of standardization that hinders the effectiveness of the sustainability reporting concept. In fact, the multiplication of reporting frameworks makes published information more difficult to interpret in the markets, taking sustainability reporting away from its main objective of transparency and comparison between firms’ performance.

One solution to this issue of comparability of non-financial information is proposed by the European Commission through the creation of European standards built by EFRAG, in the context of the new CSRD. According to the EU, by putting forward a unique standard, this will reduce the costs of disclosure for companies and improve the way investors and stakeholders compare and use the information disclosed.

Another point of criticism concerns the reasons why companies embark on this process. Indeed, as public opinion increasingly values these initiatives, companies tend to perceive CSR more as a competitive advantage putting aside ethical reasons. Some opportunistic companies can therefore contribute to discrediting the effort by prioritizing their own interests over transparency objectives. Other firms may go even further by manipulating their sustainability reports in order to present a more attractive corporate image, either by hiding negative information or by over-disclosing positive information regarding environmental data, which may distort reality. Such behaviour can be associated with the practice known as greenwashing.

The difficulty of adapting traditional reporting to the complexity of non-financial information is an additional criticism that can be made of this concept. Indeed, while financial reporting is by nature quantifiable, easy to verify and reliable, non-financial information is struggling to gain legitimacy in the eyes of stakeholders. To remedy this, some companies are using existing financial reporting tools to build new ones adapted to ethical imperatives. However, these initiatives are undertaken by companies that demonstrate a certain maturity in terms of corporate social responsibility and can be overwhelming for smaller companies such as SME s. In this respect, sustainability reporting is divided into three categories : Another alleged pitfall of this practice is that, for the companies that are legally obliged to report in Europe, there are currently no harmonized control rules at the EU level. For most of the Member States implementing this directive, the national designed control stops at the simple verification of the production of these sustainability data. As for sanctions in case of non-compliance with the legal obligation to publish information, they are not prescribed at the European level either. This constitutes a disincentive to introduce strong supervision at national level, and to respect it for companies.