Skip to content

menu

Proskauer Rose LLP logo
HomeAbout UsOur Team All Topics
Subscribe
Search
Close

Regulatory & Compliance

Practical, Experience-Based Insights on Financial Regulatory Developments

Home > Environmental, Social and Corporate Governance (ESG) > Streamlining Sustainable Finance: Simplification of the EU Taxonomy

Streamlining Sustainable Finance: Simplification of the EU Taxonomy

By John Verwey, Rachel Lowe, Sulaiman Malik & Michael Singh on February 18, 2025

On 5 February 2025, the EU Platform on Sustainable Finance (the ‘‘Platform’’) published a report with recommendations on how to simplify the EU Taxonomy (the ‘‘Report’’). The EU Taxonomy is the EU’s classification system for sustainable activities. The Report sets out key areas of improvement and simplification of taxonomy reporting by making the EU Taxonomy more efficient with the overall aim of enhancing sustainable finance.

The Report sets out five key recommendations to the European Commission for simplification of the EU Taxonomy. The Platform anticipates that its proposals could reduce the burden of reporting on non-financial companies by over a third. The Platform further believes that a materiality approach to EU Taxonomy reporting would increase the efficiency in reporting for both financial and non-financial companies. The Report also emphasises the importance of greater interoperability between the EU Taxonomy and taxonomies being introduced in other jurisdictions.

The Platform’s Proposals:

We set out some of the key proposals below.

 1: Refine the‘‘Do No Significant Harm”(‘‘DNSH’’) assessment and reporting obligations through:

  • a review of all DNSH criteria in the delegated acts with a focus on increasing their usability for financial and non-financial companies. Until a comprehensive review of the DNSH criteria is complete, a temporary ‘‘comply or explain’’ approach should be introduced for DNSH assessment of the Turnover key performance indicator (‘‘KPI’’);
  • adoption of a lighter compliance assessment process; and
  • support international applicability by converting references to European legislation into alternative requirements, such as on quantitative or process-focused requirements based on international standards. This would be a welcome development and has been a real hurdle for EU Taxonomy alignment with non-EU assets.

2: Reducing the corporate reporting burden by more than a third by:

  • introducing a materiality threshold for calculating KPIs in non-financial company reporting and the combined KPIs of financial undertakings;
  • making the operational expenditure KPI a mandatory disclosure only for research and development costs;
  • enhancing alignment of materiality thresholds with existing financial reporting regulations; and
  • simplifying templates and reducing data points to limit reporting to only the information relevant to making business decisions.

3: Simplifying the Green Asset Ratio (‘‘GAR’’) that encourages green and transition lending by:

  • excluding assets in the numerator and denominator that cannot be measured against the EU Taxonomy;
  • simplifying retail exposure reporting and focusing on substantial contribution; and
  • allowing estimates and proxies to be used in reporting along with measures to protect against greenwashing allegations.

4: Defining clear guidelines for the use of estimates in reporting:

  • where estimates are used, methods of estimation must be consistently applied to the substantial contribution and DNSH criteria; and
  • companies must adopt estimation methods with sufficient governance, traceability, transparency, input coverage and input quality in place.

5: Supporting small and medium-sized enterprises (‘‘SMEs’’) in accessing sustainable finance by:

  • introducing a simplified approach to the EU Taxonomy for listed SMEs; and
  • adopting a voluntary approach for banks and investors’ exposures to unlisted SMEs.

While the European Commission is not formally bound by the Platform’s recommendations, the proposals set out in the Report have the potential to significantly streamline reporting burdens under the EU Taxonomy and therefore enhance access to sustainable finance.

For further information, please contact us at ukreg@proskauer.com.

Posted in Environmental, Social and Corporate Governance (ESG)
Tags: ESG, Regulation
Print:
Email this postTweet this postLike this postShare this post on LinkedIn
Photo of John Verwey John Verwey

John Verwey is a Regulatory partner and a member of the Firm’s Private Capital industry group.

John advises on financial services regulatory matters at a national UK and European level. He specializes in advising investment firms, including venture, private equity, credit, and hedge…

John Verwey is a Regulatory partner and a member of the Firm’s Private Capital industry group.

John advises on financial services regulatory matters at a national UK and European level. He specializes in advising investment firms, including venture, private equity, credit, and hedge fund managers as well as institutional managers and advisers, on all aspects of the UK and EU regulatory regimes.

Another key area of focus is advising clients in the financial services sector on mergers and acquisitions, re-organisations and associated regulatory approvals.

John represents a variety of clients that range from small start-up fund managers to established global fund advisers and managers. In The Legal 500, John is noted as “an all-rounder who gets into the details and manages client expectations on navigating tricky regulatory requirements”.

Read more about John Verwey
Show more Show less
Photo of Rachel Lowe Rachel Lowe

Rachel E. Lowe is a special regulatory counsel in the Corporate Department and a member of the Private Investment Funds Group.

Rachel advises on financial services regulation specializing in sustainable finance and ESG regulation. She has particular expertise in drafting and advising on…

Rachel E. Lowe is a special regulatory counsel in the Corporate Department and a member of the Private Investment Funds Group.

Rachel advises on financial services regulation specializing in sustainable finance and ESG regulation. She has particular expertise in drafting and advising on the Sustainable Finance Disclosure Regulation (SFDR) and the Taxonomy Regulation. Rachel has also supported with EU MiFID and AIFMD sustainability updates for clients, including from a governance and organizational perspective, as well as providing drafting and training support. She also advises on the Corporate Sustainability Reporting Directive (CSRD), including analysis of its applicability for large international group structures.

From a UK perspective, Rachel supports clients with the TCFD-related requirements in the Financial Conduct Authority’s ESG Sourcebook and is increasingly engaged on the UK’s Sustainability Disclosure Requirements (SDR).

More broadly, Rachel has worked with litigation colleagues to assist clients with understanding and mitigating greenwashing-related legal and regulatory risk.

Read more about Rachel Lowe
Show more Show less
Photo of Sulaiman Malik Sulaiman Malik

Sulaiman Malik is an associate in the Corporate Department and a member of the Private Funds Group.

Sulaiman advises clients on a range of UK and international financial regulation. He advises private equity funds, hedge funds, sovereign wealth funds and other asset managers…

Sulaiman Malik is an associate in the Corporate Department and a member of the Private Funds Group.

Sulaiman advises clients on a range of UK and international financial regulation. He advises private equity funds, hedge funds, sovereign wealth funds and other asset managers, as well as banks, FinTechs, broker-dealers and governments.

Prior to joining Proskauer, Sulaiman trained at Simmons & Simmons in London, where he was seconded to Brevan Howard. He has also spent time at the UK’s Ministry of Justice and as an adviser to the Mayor of Brisbane, in Australia.

Sulaiman is a passionate advocate for diversity and inclusion. He previously worked at Rare, a market-leading diversity consultancy, and provides pro bono legal advice to a range of community and civil rights organizations.

Read more about Sulaiman Malik
Show more Show less
Photo of Michael Singh Michael Singh

Michael is an associate in the Private Funds Group in the Corporate Department.

Michael advises clients on a variety of regulatory issues both from a UK and European perspective. He also helps clients on fund related transactions. His clients include private equity firms…

Michael is an associate in the Private Funds Group in the Corporate Department.

Michael advises clients on a variety of regulatory issues both from a UK and European perspective. He also helps clients on fund related transactions. His clients include private equity firms, investment managers, FinTech companies and wealth management businesses.

He is dual-qualified as a German lawyer (“Rechtsanwalt”) and Solicitor of England and Wales and previously was in-house counsel at Deutsche Bank.

Read more about Michael Singh
Show more Show less
Related Posts
FinReg Timeline 2026
January 14, 2026
CSRD Agreed: A Major Recalibration of the EU Sustainability Reporting Regime
December 17, 2025
SFDR 2.0 Officially Launched by European Commission
November 21, 2025
Subscribe to Employee Benefits & Executive Compensation Blog
Subscribe to this Blog

Regulatory & Compliance

Proskauer Rose LLP logo
Boca Raton|Boston|Charlotte|Chicago|Hong Kong|London|Los Angeles|New Orleans|New York|Paris|São Paulo|Washington, DC
RSS LinkedIn Twitter Instagram Facebook
DisclaimerPrivacy Policy

About Proskauer Rose LLP

We are 800+ lawyers serving clients from offices located in the leading financial and business centers in the Americas, Europe and Asia. The world’s leading organizations, companies and corporations choose us to be their representatives in their most critical situations. Moreover, they consider Proskauer a strategic partner to drive their business forward. We work with asset managers, private equity and venture capital firms, Fortune 500 companies, major sports leagues, entertainment industry legends and other industry-redefining companies.

Visit Proskauer.com

Topics

Archives

Copyright ©2026, Proskauer Rose LLP. All Rights Reserved.
Law blog design & platform by LexBlog LexBlog Logo

Proskauer and our platform provider LexBlog each use cookies to personalize content and ads, to provide social media features and to analyze traffic. Each of us also share information about your use of our site with our social media, advertising and analytics partners. If you are happy for us to store these cookies on your device please click ‘Accept Cookies.' For more information, please see here and here.

OK