Eurosif welcomes the implementation of the EU Taxonomy rules as of 1st January 2022
Almost nine months after its publication, Members States have cleared the EU Taxonomy Climate delegated act, establishing technical criteria for the economic activities that contribute to the climate objectives [Link]. Eurosif welcomes this long-awaited moment. As of 1st January 2022, companies will be able to start their proper reporting, thus enabling financial institutions to disclose how their financial products in the scope of the SFDR are aligning with the EU Taxonomy. This will in turn allow financial advisors to take into account and advise investors on their sustainability preferences.
Eurosif supports the European Commission commitment to review, on a regular basis, the technical screening criteria for listed economic sectors, to ensure they continue to take account of the latest scientific evidence. While Eurosif is broadly supportive of this Climate delegated act, it is already clear that the criteria for a number of sectors will need to be re-examined to ensure this science-based alignment.
As Eurosif has already stated, inclusion of natural gas and nuclear energy would change the nature of the EU Taxonomy from a list of sustainable activities to a list of transitional activities. Even if these sectors may be needed in the short-term to secure energy supply, they will play a limited role in the energy transition in the longer term as pointed out by the IEA in its 2050 Net-Zero roadmap [Link]. Therefore, our view remains that they should ideally not be included in the Taxonomy as sustainable economic activities.
The inclusion of natural gas and nuclear energy in the EU Taxonomy would carry risks of mis selling as identified in our statement published on 24 November [Link]. Since then, we understand from public statements by Commissioners on various occasions, it seems clear the European Commission will propose a complementary delegated act to address the regulatory treatment of natural gas and nuclear energy in the framework of the EU Taxonomy. As we stated, we believe some modifications to the SFDR reporting rules are necessary to safeguard transparency and ensure investors understand how exposed their financial products might be to natural gas and nuclear energy. This is necessary to avoid any further loss of credibility to the EU sustainable finance agenda.
For any questions or comments, please, contact us :
Victor van Hoorn, Executive Director – email@example.com
Marie Lavayssiere, Communication and Events Manager – firstname.lastname@example.org