In short
In February 2025, the European Fee offered its “Omnibus” package deal aiming to delay utility and simplify the CSRD1, the ESRS2, CSDDD3 and the EU Taxonomy with the final word aim of lowering administrative burden and thus addressing considerations that the principles would hamper European competitiveness (see our abstract of the Omnibus right here). In parallel, and with an goal to handle comparable considerations, a proposal for simplification and delay to the EUDR4 moved swiftly by way of the legislative course of.
As Europeans begin wrapping-up forward of the year-end holidays, the EU establishments have been busy participating in negotiations and finalizing key guidelines, delivering to companies the present of authorized certainty, readability and the flexibility to plan forward of the brand new 12 months.
The EU Parliament points ultimate vote on the amendments to CSRD and CSDDD
On 16 December, the EU Parliament’s plenary voted to approve the Draft Directive amending the CSRD and CSDDD. Following Council’s formal approval (which is predicted to make sure and swift given current communications to the EU Parliament), the textual content will probably be despatched for publication within the Official Journal and can enter into power twenty days after publication. This formally marks the tip of the road for the sustainability Omnibus.
Please click on right here to discover a detailed breakdown of key adjustments to CSRD and CSDDD.
EFRAG5 delivers the revised ESRS
A key proposal envisaged within the Omnibus was the simplification and streamlining of sustainability reporting by way of a revision of the ESRS. On 3 December, EFRAG launched a draft of revised and simplified ESRS (see our abstract of key adjustments right here). The Fee will now transfer to undertake a draft Delegated Act amending the ESRS primarily based on EFRAG’s recommendation. The EU Fee is predicted to launch one other public session in early 2026 throughout which stakeholders can present suggestions on such draft Delegated Act. As soon as the EU Fee has adopted the Delegated Act, the EU Parliament and Council could have the chance to scrutinise the Delegates Act and supply any objections. The revised ESRS will apply to EU companies in scope for obligatory reporting beneath the CSRD.
Given the numerous discount of thresholds, numerous companies is prone to fall exterior scope of CSRD reporting. This will likely create unintended complexities, as companies should still wish to report sustainability knowledge voluntarily or could also be requested sustainability knowledge by stakeholders on the idea of various requirements. To bridge this hole and minimise complexity, companies falling exterior scope of CSRD could have the choice to use the “sustainability reporting requirements for voluntary use”, that are nonetheless to be adopted by the EU Fee by way of Delegated Act. Till such Delegated Act is adopted, the Fee recommends reporting consistent with Fee Advice 2025/1710, which is predicated on the Voluntary Customary for Micro and Small Enterprises (VSME) developed by EFRAG.
EU Taxonomy
Modifications to the Taxonomy have unfolded separate from, however related with, the Omnibus Directive. The Delegated Act amending the Taxonomy Disclosures, Local weather and Environmental Delegated Acts (see our abstract of proposed adjustments right here and right here) was adopted in July 2025, however haven’t but entered into power (that is anticipated for early 2026), though the simplified guidelines are anticipated to enter into utility as from 1 January 2026 for FY 2025. On 17 December, the EU Fee issued a Taxonomy Reporting steerage to assist companies in scope making ready for the simplified disclosures adopted in July 2025.
EU Deforestation Regulation
On 17 December 2025, the EU Parliament plenary voted to approve the focused simplifications and utility delays to the EUDR, as agreed with EU Member States on 4 December 2025 (see our abstract of proposed adjustments right here). By 30 April 2026, the Fee should current a report following an evaluation of the regulation’s affect and administrative burden. The revised EUDR textual content must be endorsed by Council and printed within the EU’s Official Journal earlier than the tip of 2025 for the adjustments to enter into power.
With the daybreak of authorized certainty lastly upon us, it’s potential to start out contemplating subsequent steps. Our rapid suggestions could be as follows:
- Reassess scoping for EU entities and non-EU mum or dad primarily based on new thresholds to substantiate obligations/ timeline for CSRD and CSDDD
- Create/ replace ESG compliance roadmap to think about, inter alia:
- Up to date timeline and compliance obligations for CSRD, EU Taxonomy and CSDDD
- Influence on double materiality evaluation (DMA)
For extra data, please contact our crew of specialists.
1 Company Sustainability Reporting Directive
2 European Sustainability Reporting Requirements
3 Company Sustainability Due Diligence Directive
4 EU Deforestation Regulation
5 European Monetary Reporting Advisory Group
In short
In February 2025, the European Fee offered its “Omnibus” package deal aiming to delay utility and simplify the CSRD1, the ESRS2, CSDDD3 and the EU Taxonomy with the final word aim of lowering administrative burden and thus addressing considerations that the principles would hamper European competitiveness (see our abstract of the Omnibus right here). In parallel, and with an goal to handle comparable considerations, a proposal for simplification and delay to the EUDR4 moved swiftly by way of the legislative course of.
As Europeans begin wrapping-up forward of the year-end holidays, the EU establishments have been busy participating in negotiations and finalizing key guidelines, delivering to companies the present of authorized certainty, readability and the flexibility to plan forward of the brand new 12 months.
The EU Parliament points ultimate vote on the amendments to CSRD and CSDDD
On 16 December, the EU Parliament’s plenary voted to approve the Draft Directive amending the CSRD and CSDDD. Following Council’s formal approval (which is predicted to make sure and swift given current communications to the EU Parliament), the textual content will probably be despatched for publication within the Official Journal and can enter into power twenty days after publication. This formally marks the tip of the road for the sustainability Omnibus.
Please click on right here to discover a detailed breakdown of key adjustments to CSRD and CSDDD.
EFRAG5 delivers the revised ESRS
A key proposal envisaged within the Omnibus was the simplification and streamlining of sustainability reporting by way of a revision of the ESRS. On 3 December, EFRAG launched a draft of revised and simplified ESRS (see our abstract of key adjustments right here). The Fee will now transfer to undertake a draft Delegated Act amending the ESRS primarily based on EFRAG’s recommendation. The EU Fee is predicted to launch one other public session in early 2026 throughout which stakeholders can present suggestions on such draft Delegated Act. As soon as the EU Fee has adopted the Delegated Act, the EU Parliament and Council could have the chance to scrutinise the Delegates Act and supply any objections. The revised ESRS will apply to EU companies in scope for obligatory reporting beneath the CSRD.
Given the numerous discount of thresholds, numerous companies is prone to fall exterior scope of CSRD reporting. This will likely create unintended complexities, as companies should still wish to report sustainability knowledge voluntarily or could also be requested sustainability knowledge by stakeholders on the idea of various requirements. To bridge this hole and minimise complexity, companies falling exterior scope of CSRD could have the choice to use the “sustainability reporting requirements for voluntary use”, that are nonetheless to be adopted by the EU Fee by way of Delegated Act. Till such Delegated Act is adopted, the Fee recommends reporting consistent with Fee Advice 2025/1710, which is predicated on the Voluntary Customary for Micro and Small Enterprises (VSME) developed by EFRAG.
EU Taxonomy
Modifications to the Taxonomy have unfolded separate from, however related with, the Omnibus Directive. The Delegated Act amending the Taxonomy Disclosures, Local weather and Environmental Delegated Acts (see our abstract of proposed adjustments right here and right here) was adopted in July 2025, however haven’t but entered into power (that is anticipated for early 2026), though the simplified guidelines are anticipated to enter into utility as from 1 January 2026 for FY 2025. On 17 December, the EU Fee issued a Taxonomy Reporting steerage to assist companies in scope making ready for the simplified disclosures adopted in July 2025.
EU Deforestation Regulation
On 17 December 2025, the EU Parliament plenary voted to approve the focused simplifications and utility delays to the EUDR, as agreed with EU Member States on 4 December 2025 (see our abstract of proposed adjustments right here). By 30 April 2026, the Fee should current a report following an evaluation of the regulation’s affect and administrative burden. The revised EUDR textual content must be endorsed by Council and printed within the EU’s Official Journal earlier than the tip of 2025 for the adjustments to enter into power.
With the daybreak of authorized certainty lastly upon us, it’s potential to start out contemplating subsequent steps. Our rapid suggestions could be as follows:
- Reassess scoping for EU entities and non-EU mum or dad primarily based on new thresholds to substantiate obligations/ timeline for CSRD and CSDDD
- Create/ replace ESG compliance roadmap to think about, inter alia:
- Up to date timeline and compliance obligations for CSRD, EU Taxonomy and CSDDD
- Influence on double materiality evaluation (DMA)
For extra data, please contact our crew of specialists.
1 Company Sustainability Reporting Directive
2 European Sustainability Reporting Requirements
3 Company Sustainability Due Diligence Directive
4 EU Deforestation Regulation
5 European Monetary Reporting Advisory Group



















