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.
Nuclear Transparency Watch calls on the European Commission to: 1 - Exclude nuclear energy from the EU Taxonomy due to its unsustainable and high-risk nature. 2 - Strengthen transparency by requiring verifiable, science-based evidence for all technical screening criteria. 3 - Enforce compliance with EU and Euratom laws on nuclear safety, waste management, and public participation.
The EU Taxonomy is intended to define criteria for environmentally sustainable economic activities and to guide investments toward the EUs green transition. The biomass-derived chemicals sector plays a central role in enabling a sustainable, circular, and competitive European economy by providing renewable, high-performance materials.
Cefic welcomes the review of the Climate and Environmental Delegated Acts of the EU Taxonomy, as it gives the opportunity to address existing concerns. Cefic acknowledges significant challenges with the technical screening criteria (TSC) given their impracticability and/or by placing an excessive administrative burden upon companies: Climate Delegated Act Impracticability of the TSC on mechanical and chemical…
Cefic welcomes the review of the Climate and Environmental Delegated Acts of the EU Taxonomy, as it gives the opportunity to address existing concerns. Cefic acknowledges significant challenges with the technical screening criteria (TSC) given their impracticability and/or by placing an excessive administrative burden upon companies: Climate Delegated Act Impracticability of the TSC on mechanical and chemical…
Cefic welcomes the review of the Climate and Environmental Delegated Acts of the EU Taxonomy, as it gives the opportunity to address existing concerns. Cefic acknowledges significant challenges with the technical screening criteria (TSC) given their impracticability and/or by placing an excessive administrative burden upon companies: Climate Delegated Act Impracticability of the TSC on mechanical and chemical…
Cefic welcomes the review of the Climate and Environmental Delegated Acts of the EU Taxonomy, as it gives the opportunity to address existing concerns, and provides the following recommendations: Climate Delegated Act Address inconsistencies with the EU ETS Support the retention of current GHG emission thresholds Maintain use of ISO standards to calculate life-cycle GHG emissions until PEF-related shortcomings are…
BioChem Europe welcomes the European Commissions continued efforts to refine the EU Taxonomy framework and acknowledges the positive recognition of biomass-based pathways in the draft revisions of the Climate and Environmental Delegated Acts (DA). Particularly, the explicit reference to sustainability criteria under the Renewable Energy Directive (RED III) is an important step toward policy coherence.
Cefic welcomes the opportunity to take part in this Commission Roadmap and to contribute to the discussions on access to justice in environmental matters. Further to the targeted changes to the EU Aarhus Regulation and other new initiatives on access to justice in environmental matters presented in the Roadmap at hand, Cefic would like to provide to the Commission the following feedback: Targeted changes to the EU…
Nuclear Transparency Watch is a European network of NGOs whose goal is to increase nuclear safety by supporting access to justice and access to information. NTW welcomes the Commission’s efforts to address the findings of EU non-compliance with the Convention by amending the Regulation with suitable measures.
The legislative proposal creates an unparalleled administrative review mechanism accessible only to a specific stakeholder category. To ensure consistency with the EU Treaty system of legal remedies, it is of crucial importance that applicants under the Aarhus Regulation should only be admitted to request reviews of acts not entailing implementing measures.
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