GN Store Nord
ESRS disclosure: ESRS E2 \ DR E2-3 \ Paragraph 23 b
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- Indicate whether and how your targets relate to the prevention and control of emissions to water and respective specific loads, as required by Disclosure Requirement E2-3 concerning targets related to pollution.
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Question Id: E2-3_02
GN's Environmental Policy includes compliance with pollution-related legislation and minimizing emissions and discharges of pollution, which can impact water, soil, and food.
Report Date: 4Q2024Relevance: 50%
- Provide a detailed description of the processes your company employs to identify and assess material pollution-related impacts, risks, and opportunities. Specify whether your company has conducted a screening of its site locations and business activities to identify actual and potential pollution-related impacts, risks, and opportunities within its own operations and throughout its upstream and downstream value chain. Additionally, outline the methodologies, assumptions, and tools utilized in this screening process.
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Question Id: E2.IRO-1_01
In 2023, we commenced our double materiality process, in accordance with the process set out in ESRS 1, which covers general requirements for reporting in accordance with CSRD. We mapped our value chain and identified the industries on which we depend across our value chain. Next, we identified impacts, risks, and opportunities (IROs) across our full value chain for all ESG sub-topics and sub-sub-topics contained in Appendix A of ESRS 1. To assess the materiality of different IROs and topics, we developed a scoring key from 0-5 for both impact and risk materiality and set a materiality threshold at 2 or above for materiality and 3 or above for highly material topics, where 2 represented low scale, concentrated scope, remediable with some effort and a low likelihood, while a 3 represented medium across the same variables. Through this process we assessed 31% of topics to be highly material and 21% of topics to be material for our own operations, and 45% of topics to be highly material and 35% of topics to be materials for our value chain. In 2024, we finalized our double materiality process through the following steps: We made updates to IROs and scoring based on further inputs from stakeholders and additional guidance from EFRAG. We set the reporting threshold at 3 or higher to focus reporting on the most material topics. We then mapped disclosure requirements and data points against material IROs to determine the contents of this Sustainability Statement, taking into account the specificity of IROs where needed to scope out data points where the IROs are limited to for example specific parts of our value chain, employee groups, or geographies. We applied three analytical approaches in our double materiality process: Desk research: we consulted 40 reports from NGOs, governments, and key suppliers. Internal workshops: we held five internal workshops with 27 subject matter experts. External stakeholder interviews: we interviewed eight external stakeholders, constituting both readers of the report and impacted stakeholders. We selected external stakeholders based on the areas where we lacked visibility through our existing stakeholder engagement mechanisms: pollution, resource outflows, and human rights impacts far down our supply chain. We assumed our impacts and risks to be similar to industry averages in cases where we lacked clear data or were unable to allocate impacts prevalent to GN in our value chain. Our double materiality assessment was subject to ongoing review by senior management. It was formally approved by the Audit Committee in August 2024. Identification and assessment of impacts In scoring impacts, we gave equal weight to the three factors constituting severity combined (scale, scope, and irremediable character), and likelihood, prioritizing negative impacts based on their relative severity and likelihood.
Report Date: 4Q2024Relevance: 85%