Reed Smith In-depth

Key takeaways

  • The European Supervisory Authorities’ (ESAs) recommendations to the European Commission (the Commission) have identified a number of issues with the existing Sustainable Finance Disclosure Regulation (SFDR) regime and made proposals to remedy them.
  • If adopted, the recommendations would result in major changes to the current approach and lead to a lot of work for product providers within scope.
  • The ESAs recognise that, in effect, the SFDR operates as a product labelling regime rather than fulfilling its intended purpose as a disclosure regime.
  • The ESAs acknowledge that the complexity and vagaries of the current regime have caused confusion for SFDR product providers and investors alike.
  • In proposing improvements, the ESAs appear to have drawn on the approach taken under the UK Financial Conduct Authority’s Sustainability Disclosure Requirements (SDR).
  • The recommendations include doing away with the current Article 8 and Article 9 disclosure requirements and replacing them with product categories and/or sustainability indicators, underpinned by clear and objective criteria.
  • Consistent with the approach taken under the SDR, the proposals recognise that the informational needs of retail investors and institutional investors differ, and so different approaches are needed for these target markets.

Introduction

The ESAs issued an opinion: “On the assessment of the Sustainable Finance Disclosure Regulation (SFDR)” on 18 June 2024, addressed to the Commission, providing recommendations and suggestions to improve the SFDR framework.

The ESAs recognise that the SFDR, despite being designed as a disclosure regime, in practice has become a labelling regime, with investors assuming that products in the Article 8 category each make an equal contribution toward the promotion of environmental, social and governance (ESG) goals (i.e., are equally “green”). They also acknowledge that the existing framework for disclosure is complex and difficult to understand, particularly for consumers. The ESAs’ recommendations generally flow from this.

As part of their recommendations, the ESAs propose that the Commission should consider introducing a product classification system, based on regulatory categories and/or sustainability indicators, to assist consumers in navigating the broad number of sustainable products available.

The ESAs also suggest overarching principles and policy considerations for the Commission to bear in mind when considering any future changes to the SFDR framework. In particular, the ESAs highlight the importance of assessing policy changes through the lens of consumer testing that is designed according to behavioural science and examines the impact of consumers’ use of sustainability related disclosures. This is intended to ensure that information provided to consumers is simple and unambiguous, and avoids technical language.