Orsted
ESRS disclosure
Tags Tree
- What is the percentage of your total emissions of pollutants to soil that occur in areas identified as having high-water stress?
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Question Id: E2-4_14
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA. For ESRS E2 and ESRS E3, we identified and assessed impacts, risks, and opportunities following the same methodology and process steps as for the topics deemed material. This was informed by environmental impact assessments, risk registers, reported data, and other documentation, such as asset-specific conditions for management of pollution and water imposed by local authorities, which is particularly relevant for our CHP plants. However, none of the identified IROs were assessed as material for these two topics due to the high minimum environmental requirements imposed by authorities in the countries where we operate our assets.
Report Date: 4Q2024Relevance: 30%
- Provide a detailed explanation for selecting a less accurate methodology than direct measurement to quantify emissions. Include the rationale behind this choice, and if estimates are utilized, disclose the standard, sectoral study, or sources that underpin these estimates. Additionally, specify the potential degree of uncertainty and the range of estimates that illustrate the measurement uncertainty.
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Question Id: E2-4_15
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA. For ESRS E2 and ESRS E3, we identified and assessed impacts, risks, and opportunities following the same methodology and process steps as for the topics deemed material. This was informed by environmental impact assessments, risk registers, reported data, and other documentation, such as asset-specific conditions for management of pollution and water imposed by local authorities, which is particularly relevant for our CHP plants. However, none of the identified IROs were assessed as material for these two topics due to the high minimum environmental requirements imposed by authorities in the countries where we operate our assets.
Report Date: 4Q2024Relevance: 30%
- Does the undertaking disclose any relevant contextual information concerning material incidents and deposits where pollution has negatively impacted the environment or is anticipated to affect the undertaking's financial cash flows, financial position, and financial performance over short-, medium-, and long-term horizons? Additionally, if the undertaking's activities are governed by Directive 2010/75/EU on industrial emissions (IED) and relevant Best Available Techniques Reference Documents (BREFs), regardless of the activity's location within or outside the European Union, does the undertaking provide a list of installations it operates that fall under the IED and EU-BAT Conclusions?
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Question Id: E2-4_16
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA. For ESRS E2 and ESRS E3, we identified and assessed impacts, risks, and opportunities following the same methodology and process steps as for the topics deemed material. This was informed by environmental impact assessments, risk registers, reported data, and other documentation, such as asset-specific conditions for management of pollution and water imposed by local authorities, which is particularly relevant for our CHP plants. However, none of the identified IROs were assessed as material for these two topics due to the high minimum environmental requirements imposed by authorities in the countries where we operate our assets.
Report Date: 4Q2024Relevance: 60%
- Provide a detailed account of any non-compliance incidents or enforcement actions that were necessary to ensure adherence to permit conditions, as required under Disclosure Requirement E2-4. This should include any material incidents where pollution had negative impacts on the environment or is anticipated to affect the company's financial cash flows, position, and performance across short-, medium-, and long-term horizons, as stipulated in Disclosure Requirement E2-6. Additionally, confirm if these activities fall under Directive 2010/75/EU on industrial emissions and relevant Best Available Techniques Reference Documents, regardless of whether they occur within the European Union.
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Question Id: E2-4_17
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA. For ESRS E2 and ESRS E3, we identified and assessed impacts, risks, and opportunities following the same methodology and process steps as for the topics deemed material. This was informed by environmental impact assessments, risk registers, reported data, and other documentation, such as asset-specific conditions for management of pollution and water imposed by local authorities, which is particularly relevant for our CHP plants. However, none of the identified IROs were assessed as material for these two topics due to the high minimum environmental requirements imposed by authorities in the countries where we operate our assets.
Report Date: 4Q2024Relevance: 50%
- Provide a detailed account of any material incidents or deposits where pollution has negatively impacted the environment or is anticipated to affect the company's financial cash flows, financial position, and financial performance over short-, medium-, and long-term periods. Additionally, if your company's activities fall under Directive 2010/75/EU on industrial emissions and the relevant Best Available Techniques Reference Documents (BREFs), disclose your actual performance as specified in the EU-BAT conclusions for industrial installations. Include a comparison of your environmental performance against the emission levels associated with the best available techniques (BAT-AEL) as outlined in the EU-BAT conclusions.
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Question Id: E2-4_18
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA. For ESRS E2 and ESRS E3, we identified and assessed impacts, risks, and opportunities following the same methodology and process steps as for the topics deemed material. This was informed by environmental impact assessments, risk registers, reported data, and other documentation, such as asset-specific conditions for management of pollution and water imposed by local authorities, which is particularly relevant for our CHP plants. However, none of the identified IROs were assessed as material for these two topics due to the high minimum environmental requirements imposed by authorities in the countries where we operate our assets.
Report Date: 4Q2024Relevance: 50%
- Can the undertaking provide a detailed account of its actual performance in relation to the environmental performance levels associated with the best available techniques (BAT-AEPLs) applicable to its sector and installation, as per Directive 2010/75/EU on industrial emissions, including any relevant Best Available Techniques Reference Documents (BREFs), regardless of whether the activities occur within the European Union? Additionally, disclose any material incidents or deposits where pollution has had or is expected to have negative impacts on the environment and/or the undertaking's financial cash flows, financial position, and financial performance across short-, medium-, and long-term time horizons.
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Question Id: E2-4_19
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA. For ESRS E2 and ESRS E3, we identified and assessed impacts, risks, and opportunities following the same methodology and process steps as for the topics deemed material. This was informed by environmental impact assessments, risk registers, reported data, and other documentation, such as asset-specific conditions for management of pollution and water imposed by local authorities, which is particularly relevant for our CHP plants. However, none of the identified IROs were assessed as material for these two topics due to the high minimum environmental requirements imposed by authorities in the countries where we operate our assets.
Report Date: 4Q2024Relevance: 40%
- Provide a comprehensive disclosure of any compliance schedules or derogations granted by competent authorities in accordance with Article 15(4) of Directive 2010/75/EU, associated with the implementation of Best Available Techniques-Associated Emission Levels (BAT-AELs). This disclosure should include any relevant contextual information, such as descriptions of material incidents and deposits where pollution has negatively impacted the environment or is anticipated to affect the undertaking's financial cash flows, financial position, and financial performance across short-, medium-, and long-term time horizons. Ensure that this information is provided regardless of whether the activities occur within the European Union or elsewhere.
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Question Id: E2-4_20
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA. For ESRS E2 and ESRS E3, we identified and assessed impacts, risks, and opportunities following the same methodology and process steps as for the topics deemed material. This was informed by environmental impact assessments, risk registers, reported data, and other documentation, such as asset-specific conditions for management of pollution and water imposed by local authorities, which is particularly relevant for our CHP plants. However, none of the identified IROs were assessed as material for these two topics due to the high minimum environmental requirements imposed by authorities in the countries where we operate our assets.
Report Date: 4Q2024Relevance: 50%
- Provide the total quantities of substances of concern that are generated or utilized during production or procured, and specify the total quantities of these substances that exit your facilities as emissions, products, or components of products or services. This information should be categorized according to the main hazard classes of substances of concern.
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Question Id: E2-5_01
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA.
Report Date: 4Q2024Relevance: 20%
- Provide the total amounts of substances of concern that are generated or used during production or procured, including those that leave the facilities as emissions, products, or as part of products or services, categorized by main hazard classes of substances of concern, as per Disclosure Requirement E2-5.
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Question Id: E2-5_02
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA.
Report Date: 4Q2024Relevance: 20%
- Provide the total amounts of substances of concern that are generated or used during production or procured, and specify the total amounts of these substances that exit your facilities as emissions, as products, or as components of products or services. This information should be categorized according to the main hazard classes of the substances of concern.
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Question Id: E2-5_03
We have outlined all the disclosure requirements in the topical standards ESRS ‘E2 Pollution’, ESRS ‘E3 Water and marine resources’, and ESRS ‘S4 Consumers and end-users’, as these topics were deemed immaterial in our DMA.
Report Date: 4Q2024Relevance: 20%