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.
We welcome the European Commission's initiative to review the area and design an optimal system that meets the needs and interests of the market and customers. As a financial market participants, we strongly support the European Commission's efforts to make the activities of the financial sector more transparent, to prioritise sustainability goals in the financial sector and to contribute to their achievement.
The SFDRs objectives are still relevant. However, there are many shortcomings with the interpretation and implementation of existing requirements, and we welcome the upcoming revision of the SFDR to strengthen the effectiveness of the regulation. We have set out recommendations to improve the framework's usability and transparency for end-investors, with a particular focus on retail investors. Our key messages: 1.
The European Banking Federation strongly supports the European Commissions efforts to reduce the complexity of sustainability-related disclosures for capital markets and increase their usability for both investors and financial market participants.
Taxonomy 2.8: Non-Life Business reports (s.18 and other) Previously, information was released regarding the materiality threshold for Non-life reports/templates. The impression was that the threshold would be adjusted so that Life companies with a not material percentage of non-life business would not have to report these. We do not consider that the change made is enough.
The European Banking Federation (EBF) welcomes the opportunity to put forward our comments on the European Commissions call for evidence on its initiative for the rationalisation of reporting requirements. The EBF is very supportive of all efforts for rationalizing and simplifying reporting requirements not only to improve the system but also helping to increase the competitiveness of EU businesses.
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