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Mar. 3, 2026
The EU Taxonomy has become a core pillar of Europe’s sustainable finance architecture, shaping how companies and financial institutions define and disclose environmentally sustainable economic activities. With the entry into force of the Simplified EU Taxonomy Delegated Act on January 28, 2026, applicable from January 1, 2026, and therefore relevant for the 2026 reporting cycle covering financial year 2025, the EU modifies the sustainability reporting framework to introduce a more proportionate application of the Taxonomy Regulation.
The revised act amends the Disclosures, Climate, and Environmental Delegated Acts, with the objective of reducing operational complexity while maintaining the role of the Taxonomy as a classification system for environmentally sustainable economic activities.
Early Taxonomy reporting cycles highlighted operational and methodological challenges. Many organizations were required to assess economic activities that were not material to their business model, leading to extensive data collection and reporting efforts with limited relevance to decision-making. Financial institutions also faced difficulties due to reliance on upstream data from non-financial counterparties, which was often incomplete or inconsistent. These issues contributed to varying alignment outcomes across the market and reduced comparability of disclosures. The simplified Delegated Act introduces proportionality mechanisms intended to focus reporting on material activities and improve usability of the framework.
The Simplified Delegated Act introduces several targeted adjustments to the application of the EU Taxonomy Regulation:
Area
Key change
Practical effect
Materiality principle
Introduction of a 10% threshold allowing exclusion of non-material activities or assets
Reporting focuses on economically relevant activities
Reporting templates
Streamlined Taxonomy reporting templates with significant reduction in datapoints (approx. 64% for non-financial, 89% for financial undertakings)
Lower reporting burden and simplified reporting structure
DNSH criteria
Targeted simplification of pollution prevention and hazardous substances requirements
Reduced complexity in environmental compliance assessments
KPI scope
Improved consistency between numerator and denominator of KPIs
More consistent and comparable KPI outcomes
Transitional provisions
Temporary relief and delayed reporting requirements for selected financial KPIs
Phased implementation of revised requirements
Non-financial undertakings can now exclude economic activities from Taxonomy eligibility and alignment assessment where the cumulative value of turnover, CapEx, or OpEx is below 10% of the respective KPI denominator. The threshold is applied separately for each KPI, meaning an activity may be excluded for turnover but still assessed for CapEx or OpEx if material.
In addition, undertakings may refrain from assessing all OpEx-related activities if total OpEx is not material to their business model. No fixed quantitative threshold is prescribed, but the assessment must follow financial materiality principles and be clearly justified.
Even when activities are excluded, transparency requirements remain. Companies must disclose:
The revised templates introduce a summary KPI table and a simplified activity breakdown, remove several previous datapoints, and allow omission of detailed tables where Taxonomy eligibility is zero. The framework also introduces a new method for reporting contributions to multiple environmental objectives.
The updated rules reduce the number of substances companies must assess and allow certain regulated uses of ozone-depleting and hazardous substances under defined exemptions. This significantly lowers compliance complexity while maintaining alignment with EU environmental law.
Financial institutions may choose not to publish detailed Taxonomy templates until December 31, 2027, provided they clearly state that they do not claim alignment with environmentally sustainable activities. This creates short-term operational relief while broader regulatory reviews continue.
Reporting of Trading Book and Fees & Commissions KPIs has been delayed until 2028 due to limited decision usefulness in earlier assessments.
Financial undertakings can exclude exposures or activities below a 10% materiality threshold, based on:
Revised templates introduce additional transparency regarding non-assessed exposures, distinguishing between:
The scope of exposures included in KPI denominators has also been refined. Certain exposures are now excluded, including:
Financial institutions benefit from major template simplifications, reduced breakdown requirements, and aggregated reporting for fossil gas and nuclear exposures. Overall, datapoints are reduced by around 89%, easing operational burden.
Organizations should reassess their economic activities under the revised materiality framework and document all materiality determinations consistently.
Preparation should include:
Easily align with EU Taxonomy requirements using Envoria's EU Taxonomy software, designed to streamline classification, data integration, and reporting.
In addition, organizations should ensure that disclosures related to non-assessed activities remain transparent and complete. This includes reporting the proportion of non-material activities within KPI denominators, indicating their sector classification, and providing clear explanations supporting materiality conclusions. Where operational expenditure is considered not material to the business model, undertakings should disclose the total operational expenditure denominator together with the rationale for this determination.
Financial undertakings should use the transitional period to review governance, data sourcing, and validation processes, even where detailed reporting templates are not applied. Preparatory work during this phase may support consistent KPI calculation and facilitate future compliance once full reporting requirements resume.
The European Commission has announced a broader, systematic review of EU Taxonomy reporting requirements and technical screening criteria, with a particular focus on further simplifying the framework, improving its usability, and aligning it with existing EU legislation. This includes a reassessment of key elements such as the DNSH criteria to reduce complexity.
In parallel, additional regulatory adjustments under the wider Omnibus simplification agenda are expected, including potential changes to the scope of sustainability reporting under the CSRD, such as revised thresholds for large groups and issuers. These upcoming developments are intended to further streamline sustainability regulation across the EU, although they do not affect the application of the Taxonomy framework for the financial year 2025.
Envoria’s EU Taxonomy software module empowers you to efficiently assess your EU Taxonomy compliance by accurately identifying your sustainable economic activities and investments. With an all-in-one approach, the software provides a holistic view of environmental impact:
💡Envoria has incorporated all current amendments introduced under the Simplified Delegated Act into its EU Taxonomy software module, ensuring that assessments, KPIs, and reporting templates reflect the updated regulatory requirements.
Need more information? The EU Taxonomy module brochure provides a detailed look at Envoria’s EU Taxonomy software module and outlines the features and capabilities that support efficient, audit-ready EU Taxonomy reporting.
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