12 March 2021
Annex 2: Scope of ESAP (question 7) - Opportunities and challenges
The Danish Government generally welcomes the idea of digitalising public
reporting and providing one single access point for investors and other
stakeholder to find and compare financial and non-information about com-
panies. In achieving this ambitious goal, we see both opportunities and
challenges. In this section we will outline them in turn focusing on each of
the acts listed.
Legal acts where inclusion in ESAP would be beneficial
The upcoming revision of the
Non-Financial Reporting Directive
will
potentially include ESG data and information to be reported by non-finan-
cial companies. This data will likely feed into the demands for ESG infor-
mation that the SFDR and Taxonomy regulation will require financial mar-
ket participants to disclose about underlying investments in financial prod-
ucts. Therefore, the revision of NFRD and the data it provides will play a
key role in ensuring transparent information about ESG risks on financial
markets. Considering the important role of information on sustainability for
financial markets, the new sustainability related data provided by a revision
of NFRD might be a good place to start for an ESAP solution and we see
an opportunity to create much needed transparency and comparability.
However, in doing so it is important to establish standardized digital re-
porting, respecting the existing flows to Officially Appointed Mechanisms
(OAM’s) and without creating data validation burdens on national author-
ities. Further analyses of how the inclusion of sustainability data can be
done through an extension to national solutions would be purposeful.
ESG risks
can have material impact on investments and there is currently
a lack of data, particularly comparable data in the area. Therefore, infor-
mation on how risks are taken into account and how underlying invest-
ments fare in terms of ESG factors could be a very relevant area for inclu-
sion into the ESAP. The reporting templates being set out in accordance
with the Sustainable Financial Disclosure Regulation (SFDR) will also re-
sult in standardized information thus making the process for implementa-
tion less costly with regards to data validation. Information related to sus-
tainable benchmarks could also be relevant to include in ESAP as there
continues to be a void in the private arena in that area and it can more eas-
ily be designed to fit to ESAP. However, much of the information to be
published in accordance with the SFDR will be information available on
financial market participants’ webpages. Attaining such information even