Unibail-Rodamco-Westfield
ESRS disclosure
Tags Tree
- Has the undertaking considered ecological thresholds, such as biosphere integrity, stratospheric ozone depletion, atmospheric aerosol loading, soil depletion, and ocean acidification, along with entity-specific allocations, when establishing pollution-related targets? If affirmative, provide detailed specifications.
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Question Id: E2-3_05
For all its development projects, the Group complies with all applicable regulation regarding H&S and environmental matters. An assessment of the environmental impact of each project (following applicable regulation) is carried out at a very early stage. There is no provision for environmental risk in the Group’s accounting in 2023.
Report Date: 4Q2023Relevance: 30%
- Has your organization identified any ecological thresholds, such as those related to biosphere integrity, stratospheric ozone depletion, atmospheric aerosol loading, soil depletion, or ocean acidification, when setting pollution-related targets? If so, provide a detailed disclosure of the identified ecological thresholds and the methodology employed to determine these thresholds.
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Question Id: E2-3_06
For all its development projects, the Group complies with all applicable regulation regarding H&S and environmental matters. An assessment of the environmental impact of each project (following applicable regulation) is carried out at a very early stage. There is no provision for environmental risk in the Group’s accounting in 2023.
Report Date: 4Q2023Relevance: 30%
- Provide a detailed account of whether ecological thresholds, such as biosphere integrity, stratospheric ozone depletion, atmospheric aerosol loading, soil depletion, and ocean acidification, were considered in setting pollution-related targets. Specify if these thresholds are entity-specific and elaborate on the methodology used to determine them.
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Question Id: E2-3_07
For all its development projects, the Group complies with all applicable regulation regarding H&S and environmental matters. An assessment of the environmental impact of each project (following applicable regulation) is carried out at a very early stage. There is no provision for environmental risk in the Group’s accounting in 2023.
Report Date: 4Q2023Relevance: 30%
- Specify how responsibility for respecting identified ecological thresholds, such as biosphere integrity, stratospheric ozone-depletion, atmospheric aerosol loading, soil depletion, and ocean acidification, is allocated within the undertaking when setting pollution-related targets.
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Question Id: E2-3_08
For all its development projects, the Group complies with all applicable regulation regarding H&S and environmental matters. An assessment of the environmental impact of each project (following applicable regulation) is carried out at a very early stage. There is no provision for environmental risk in the Group’s accounting in 2023.
Report Date: 4Q2023Relevance: 30%
- Specify whether the pollution-related targets set and presented by your undertaking are mandatory, as required by legislation, or voluntary, as part of the contextual information.
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Question Id: E2-3_09
For all its development projects, the Group complies with all applicable regulation regarding H&S and environmental matters.
Report Date: 4Q2023Relevance: 50%
- Does the undertaking disclose any relevant contextual information regarding material incidents and deposits where pollution has negatively impacted the environment or is expected to affect the undertaking's financial cash flows, financial position, and financial performance across short-, medium-, and long-term horizons? Additionally, does the undertaking specify whether the target addresses shortcomings related to the Substantial Contribution criteria for Pollution Prevention and Control as defined in delegated acts pursuant to Article 14(2) of Regulation (EU) 2020/852? Furthermore, if the Do No Significant Harm (DNSH) criteria for Pollution Prevention and Control, as outlined in delegated acts pursuant to Articles 10(3), 11(3), 12(2), 13(2), and 15(2) of Regulation (EU) 2020/852, are not met, does the undertaking specify whether the target addresses shortcomings related to those DNSH criteria?
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Question Id: E2-3_10
Anticipated financial effects from material pollution-related risks and opportunities are in line with the estimates presented in section 3.2.1.D.2 Disclosure requirements in ESRS covered by the undertaking’s Sustainability Statement.
Report Date: 4Q2023Relevance: 50%
- Has the undertaking disclosed relevant contextual information regarding material incidents and deposits where pollution has negatively impacted the environment or is expected to affect the undertaking's financial cash flows, financial position, and financial performance across short-, medium-, and long-term time horizons? Additionally, has the undertaking provided information on the targets set at the site level to support the adopted policies related to pollution?
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Question Id: E2-3_11
Anticipated financial effects from material pollution-related risks and opportunities are in line with the estimates presented in section 3.2.1.D.2 Disclosure requirements in ESRS covered by the undertaking’s Sustainability Statement.
Report Date: 4Q2023Relevance: 50%
- Provide detailed information on the quantities of each pollutant specified in Annex II of Regulation (EC) No 166/2006, known as the European Pollutant Release and Transfer Register (E-PRTR Regulation), that are emitted into the air, water, and soil. Exclude greenhouse gas emissions, as these are reported separately under ESRS E1 Climate Change guidelines. Present this data at the site level, categorized by type of source, sector, or geographical area.
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Question Id: E2-4_01
The main source of pollutant coming from URW's operations is the GHG emissions, already disclosed within section 3.2.2.B Climate change.
Report Date: 4Q2023Relevance: 10%
- Provide the amounts of each pollutant, as listed in Annex II of Regulation (EC) No 166/2006, emitted to air. Exclude greenhouse gas emissions, which are reported separately under ESRS E1 Climate Change.
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Question Id: E2-4_02
The main source of pollutant coming from URW's operations is the GHG emissions, already disclosed within section 3.2.2.B Climate change.
Report Date: 4Q2023Relevance: 20%
- Provide the amounts of each pollutant, as specified in Annex II of Regulation (EC) No 166/2006 (European Pollutant Release and Transfer Register "E-PRTR Regulation"), emitted to water. Exclude greenhouse gas emissions, which are reported under ESRS E1 Climate Change. Include details by sectors, geographical area, type of source, and site location.
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Question Id: E2-4_03
The main source of pollutant coming from URW's operations is the GHG emissions, already disclosed within section 3.2.2.B Climate change.
Report Date: 4Q2023Relevance: 20%