Consultation participation and their own register declarations, side by side. Counts, not judgments — participation is not influence.
Counts here are a floor, never a total: they cover the 583 consultation files tracked so far (42,224 submissions, mostly 2025–26), so an organization's real filing history is larger, not smaller.
Register facts self-declared (snapshot 2 Sept 2026); cost bands are floors. Shared files are shared attention, not evidence of coordination.
What each said, in their own words
Their opening passages on the files they share, verbatim and in filing order. We do not summarize, compare, or characterize positions — read them at source.
• In general: EU framework for methodology on PEF and OEF on voluntary basis in a harmonised matter may be useful – mandatory system not first choice, different P(O)EFCRs in Member States to be avoided – therefore WKO proposing to consider option 1 (update of PEFs and OEFs) or 2 (voluntary legal framework), currently not option 3 (legal framework establishing obligation for claims by PEF/OEF) because of costs and…
WKO Position Paper Short Summary - Proposal for a Green Claims Directive: less restrictions for the benefit of consumer orientation more exemptions and support for SMEs, implementation leeway needed substantiation to be simplified radically verification and authority-OK to be deleted national, regional and private labels to be exempted from verification in any case.
July 20, 2023 European Commission Brussels, Belgium Subject: Government of Canada Comments on the European Commission Proposal for a Directive of the European Parliament and of the Council on substantiation and communication of explicit environmental claims (Green Claims Directive) To Whom It May Concern, The Government of Canada welcomes the opportunity to submit feedback on the European Commission’s Proposal for a…
Opening of the attached position paper · the full paper is on the Commission’s record (source link above)
Canada appreciates the opportunity offered by the European Commission to provide feedback on the Commission’s new European Cyber Resilience Act (CRA). Canada strongly supports the legitimate objective of strengthening the cybersecurity of digital products, and recognizes the increased threat to security and privacy caused by the rising number of these products.
The Austrian Chamber of Commerce recognises the European Commission’s objectives to strengthen cyber resilience, as a cybersecurity incident can undoubtedly lead to enormous financial burdens due to business disruption (e.g. due to a ransomware attack), reputational damage to businesses and a threat to the security of our economy and society.
Filed in German · English published by the European Commission
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