Skip to main content
PolicySpeak
← The ranking

Side by side

Compare organizations

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.

PP
PJSC Phosagro

Company · RUS

2
files engaged
of 583 tracked
2
positions filed
in those 583 files
declared FTE
self-declared
EP accreditations
as declared to the register
EUR
EuroCommerce

Industry association · Belgium

53
files engaged
of 583 tracked
58
positions filed
in those 583 files
8.3
declared FTE
self-declared
18
EP accreditations
as declared to the register

Declared costs: €800K+ a year · in the register since 2009

Files both filed on (2)

Substantiation and communication of explicit environmental claims (Green Claims Directive) · Digital labelling of EU fertilising products

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.

Substantiation and communication of explicit environmental claims (Green Claims Directive)

EuroCommerce · filed 31 Aug 2020 · source

EuroCommerce welcomes the opportunity to provide feedback regarding the Inception Impact Assessment on substantiating green claims. The attached statement aims to summarize key points from the retail and wholesale sector on green claims and the Product Environmental Footprint (PEF) and support the Commission’s work to assess whether a legislative proposal on substantiating green claims is needed.

PJSC Phosagro · filed 24 May 2023 · source

PhosAgro is the leading producer of environmentally safe phosphate fertilisers. We welcome the occasion to submit our feedback on the initiative aimed at introducing minimum requirements for substantiating and communicating of explicit environmental claims. We appreciate every effort to supply consumers with reliable, verified and exact information.

EuroCommerce · filed 11 Jul 2023 · source

EuroCommerce welcomes the Commissions proposal for a Directive on substantiation and communication of explicit environmental claims (Green Claims Directive). We agree that consumers should be able to rely on properly verified environmental claims. We, therefore, support further action on green claims to protect consumers and ensure fair competition in the Single Market.

Digital labelling of EU fertilising products

EuroCommerce · filed 20 Sept 2021 · source

EuroCommerce, the principal European organisation representing the retail and wholesale sector, welcomes the opportunity to provide feedback to the roadmap for the simplification and digitalisation of labels on chemicals, and specifically the CLP Regulation, the Detergents Regulation and the Fertilising Products Regulation.

PJSC Phosagro · filed 23 May 2023 · source

PhosAgro is the leading producer of environmentally safe phosphate fertilisers. We welcome the occasion to provide feedback on a proposal for a regulation on the digital labelling of fertilising products. We support the initiative to modify the EU Fertilising Products Regulation (EU) 2019/1009 so as to introduce new labelling requirements to create a voluntary digital label in annex III.

Take this comparison with you

2 organizations on one sheet: every file each filed on, their register declarations, and a working link to each submission. Free: we ask for your name and email, and PolicySpeak may contact you about the product (privacy policy). The per-file record stays downloadable without signing up on each file’s page.