Guide

7 steps to comply with CSRD with One Click LCA

Panu Pasanen

Jul 17 2026 min read

The Corporate Sustainability Reporting Directive (CSRD), in force since January 5, 2023, sets mandatory sustainability reporting requirements for companies in the European Union and the European Economic Area. This guide outlines who must report, the compliance timeline, the seven steps to a compliant sustainability statement, and how One Click LCA simplifies each process.

Contents:

7 steps to comply with CSRD with One Click LCA
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What is the Corporate Sustainability Reporting Directive (CSRD)?

The Corporate Sustainability Reporting Directive (CSRD) introduces mandatory sustainability reporting standards for organizations operating in or engaging with the European Union (EU) and European Economic Area (EEA). Compliance with the CSRD relies on adherence to the European Sustainability Reporting Standards (ESRS).

Omnibus I Directive and revised ESRS changes

The rules changed substantially in 2026 with two major updates:

  1. Omnibus I Directive (EU) 2026/470: In force since March 18, 2026. It narrows the CSRD scope to companies with more than 1,000 employees and over €450 million in net turnover. Companies outside the new scope can still report voluntarily using the EU voluntary standard, and many will keep receiving sustainability data requests from customers that remain in scope.

  2. Revised ESRS and voluntary standard: On July 3, 2026, the European Commission adopted the revised European Sustainability Reporting Standards (ESRS), cutting mandatory datapoints by 61%. It also introduced a voluntary reporting standard for smaller companies. Both delegated acts await scrutiny by the European Parliament and the Council before they become binding. 

Status of the revised ESRS standards

Both revised ESRS and voluntary standard are under scrutiny by the European Parliament and the Council for two months, extendable by a further two. Revised ESRS are expected to enter into force in November 2026, and the voluntary standard the third day after publication in the Official Journal.

The revised ESRS cut mandatory datapoints by 61% compared with the 2023 standards, based on EFRAG's technical advice. They apply from financial year 2027. Companies already reporting can apply them voluntarily for financial year 2026, or keep the 2023 standards with selected reliefs. Either way, the sustainability statement must state which standards version it follows.

Who must comply with the CSRD, and from when?

  • EU companies and EU-listed issuers with more than 1,000 employees and net turnover above €450 million. Both thresholds must be met. These companies report under the new rules for financial years starting on or after January 1, 2027, and publish their first reports in 2028.
  • Non-EU parent companies with more than €450 million net turnover generated in the EU for each of the last two consecutive financial years, and either a qualifying EU subsidiary or an EU branch exceeding €200 million in turnover. For calendar-year companies, the first report is due in 2029 for financial year 2028.
  • Companies already reporting since financial year 2024 that fall below the new thresholds: Member States may exempt them for financial years 2025 and 2026. Whether and when this exemption applies depends on transposition in each Member State.
  • Exempt: listed small and medium enterprises (SMEs) are no longer in mandatory scope. They can report voluntarily using the EU voluntary standard.

In its CSRD staff working document, the European Commission estimates that the new thresholds remove about 85% of companies from mandatory scope, leaving roughly 6,750 of the EU's largest companies subject to CSRD reporting. Member States must transpose the directive into national law by March 19, 2027.

Not in CSRD scope? You can still face customer data requests and market access requirements. Prepare your products creating EPDs or with Product Carbon Footprint data.

 

How Omnibus changed the original CSRD

Element

Original CSRD

After Omnibus I & revised ESRS

Scope

Companies meeting two of these criteria:  250+ employees, €25 million balance sheet total, €50 million net turnover.

More than 1,000 employees and over €450 million net turnover.

First application of the new rules

Phased waves from financial year 2024.

New scope and revised ESRS apply from financial year 2027. First reports in 2028.

Listed SMEs

In mandatory scope.

Removed. Voluntary reporting under the EU voluntary standard.

Reporting standards

First set of ESRS (2023).

Revised ESRS with 61% fewer mandatory datapoints. Optional for financial year 2026.

Sector-specific ESRS

Commission required to adopt them.

Obligation removed. The Commission may publish optional sector guidance.

Value chain data requests

No explicit limit on what reporters could ask suppliers.

Value chain cap: suppliers with up to 1,000 employees may refuse requests beyond the essential disclosures of the voluntary standard.

Assurance

Limited assurance, with a planned move to reasonable assurance.

Limited assurance is permanent, the escalation has been removed.

Digital tagging

Mandatory machine-readable tagging.

Postponed until the Commission adopts detailed specifications.

 

CSRD software: Automate reporting and obtain ready-for-audit documentation.

Comply with CSRD

7 steps to CSRD compliance

1. Assess sustainability impacts in alignment with European Sustainability Reporting Standards (ESRS)

Under the CSRD, companies are required to identify and assess sustainability impacts, risks, and opportunities according to the European Sustainability Reporting Standards (ESRS). This includes evaluating the environmental, social, and governance (ESG) impacts of their operations, as well as their entire value chain — spanning both suppliers (upstream) and customers (downstream), including indirect relationships.

The ESRS framework includes five environmental, four social, and one governance standards. One Click LCA supports analysis in areas such as:

  • Climate change
  • Pollution
  • Water and marine resources
  • Biodiversity and ecosystems
  • Resource use and circular economy

Omnibus updates:

  • CSRD reporting obligations now apply only to companies with more than 1,000 employees and over €450 million in net turnover.
  • The value chain cap is now law. Companies in your value chain with up to 1,000 employees have a right to decline sustainability data requests that go beyond the essential disclosures of the EU voluntary standard, once this is implemented. If you request more, you must tell the supplier which extra information you are asking for and that it can refuse. The cap covers data requests made for CSRD reporting only: it does not restrict voluntary data sharing that is common in a sector, and it does not affect product-level data such as Environmental Product Declarations requested under procurement, the Construction Products Regulation, or the Ecodesign for Sustainable Products Regulation.
  • The obligation to adopt sector-specific ESRS has been removed. The Commission may publish optional sector guidance instead.

2. Determine which impacts are material: Impact- and finance-wise

The ESRS defines material sustainability impacts as follows:
  • For actual (current) impacts, materiality is based on their severity, which considers the impact's scale, scope, and irremediable nature (for negative impacts only).
  • For potential impacts, materiality is determined by both their severity and likelihood.

Companies establish their own thresholds for impact materiality. Exclusions must be disclosed and are subject to limited assurance engagement.

Financial materiality exists when a sustainability matter generates, or could reasonably be expected to generate, material financial effects for the company. This includes risks or opportunities that could materially influence future development, financial position, performance, cash flows, access to finance, or cost of capital. All impacts must be evaluated over the following timeframes:

  • Short-term: One reporting year.
  • Medium-term: Up to five years.
  • Long-term: Beyond five years.

The process for identifying material impacts must be documented in accordance with IRO-1, which outlines the methodology for assessing material impacts, risks, and opportunities.

Omnibus updates:

  • The revised ESRS simplify the double materiality assessment. A top-down approach lets you anchor the assessment in your strategy and business model instead of assessing every individual impact, risk, and opportunity.
  • Companies shall not report information that is not material, except in clearly defined circumstances. Materiality is now the explicit filter for every disclosure.

CSRD reporting advice: Simplify materiality determination based on your input.  One Click LCA recommends including climate change, resource use, and circular economy as material impacts.

3. Quantify the material data points

Indicator codes in this table follow ESRS as adopted in 2023 (Delegated Regulation (EU) 2023/2772).
Some disclosure requirement numbers change under the revised ESRS: One Click LCA will update this table once the revised standards complete scrutiny and are published in the Official Journal.


Indicator Reporting content Quantification tools
ESRS E1-1 Disclosure on transition plan to reach climate neutrality by 2050, including mitigation actions and decarbonization levers Carbon Designer 3D allows quick optioneering for various scenarios
ESRS E1-4 Disclosure of greenhouse gas (GHG) emission reduction targets for Scope 1, 2, and 3, separately or combined GHG Accounting Tool and Carbon Strategy Tool
ESRS E1-6 Gross Scope 1, 2, 3, and total GHG emissions, including emissions from each significant Scope 3 category GHG Accounting Tool and Carbon Strategy Tool
ESRS E2-4 Pollution of air, water, and soil — quantification of pollutants (e.g., ozone-depleting substances, acidification, eutrophication impacts), emitted through own operations, plus microplastics generated or used. LCA tools quantify internal and supply chain pollution.

ESRS E3-4 Water consumption — quantify water use LCA tools measure freshwater use and water scarcity
ESRS E4-5 Impact metrics related to biodiversity and ecosystem changes, including land use and biodiversity stress Biodiversity Supply Chain Tool and LCA tools support these calculations
ESRS E5-3 Targets for resource use and circular economy—circular materials, primary materials, and sustainable sourcing Building Circularity Tools and full-spectrum LCA tools quantify these targets.
ESRS E5-4 Resource inflows — technical and biological masses; share of sustainably sourced materials; weight and percentage of secondary reused, recycled components, intermediary products, and materials Building Circularity Tools and full-spectrum LCA tools quantify these targets.

Omnibus updates:

  • The revised ESRS cut mandatory datapoints by 61%, and prioritize quantitative datapoints over narrative text.
  • You can define your GHG reporting boundary using either the financial control or the operational control approach, aligning ESRS reporting with global standards.
  • Mandatory sector-specific indicators will not be introduced. The Commission may issue optional sector guidance.

4. Report the mandatory ESRS data points

The following two standards are mandatory for reporting: ESRS 1 (General Requirements) and ESRS 2 (General Disclosures). 

Omnibus updates:

  • The obligation to adopt sector-specific ESRS has been removed by the Omnibus I Directive.

5. Create your sustainability statement

ESRS specifies the minimum requirements and structure for the sustainability statement. This statement must be be included in a dedicated, clearly identifiable section of the management report. 

Omnibus update:

  • The sustainability statement remains mandatory for companies in scope. The revised ESRS remove non-material and least decision-useful disclosures, so statements become shorter and more focused.

CSRD statement generation: One Click LCA’s CSRD compliance solution automatically generates the required documentation based on your input.

Create CSRD report

6. Get your sustainability statement audited

Sustainability statements must undergo an audit, with the level of limited assurance. The statutory auditor typically performs the audit, but other authorized auditors in EU member states may also undertake the task. The statutory auditor is required to present the findings in an assurance report, along with an opinion aligned with assurance standards once adopted by the European Commission.

Omnibus updates:

  • Limited assurance is now the assurance level. The Omnibus I Directive removes the possibility of escalating to reasonable assurance, reducing assurance complexity and cost.

7.  Publish your sustainability statement

CSRD reports will need to be submitted in a machine-readable format with data tagged for automated processing. This technical format is based on XBRL and adheres to the European Single Electronic Format (ESEF) standards. 

Omnibus updates:

  • Mandatory digital tagging is postponed until the Commission adopts detailed specifications, so companies do not need XBRL-tagged sustainability statements yet.

What is still pending for the CSRD?

The Omnibus I Directive is final law. Two items remain in motion:

  • Revised ESRS and the voluntary reporting standard. Both delegated acts are under scrutiny by the European Parliament and the Council for two months, extendable by a further two. If neither institution objects, they are expected to enter into force in November 2026 and apply from financial year 2027, with voluntary early application of the revised ESRS for financial year 2026. Once the voluntary standard enters into force, it replaces the 2025 VSME Recommendation.
  • National transposition. Member States must transpose the CSRD amendments by March 19, 2027. Timing of the Wave 1 transition exemption for financial years 2025 and 2026 depends on each Member State.

One Click LCA monitors these milestones and updates this guide as they complete.

Frequently asked questions about CSRD

Who must comply with the CSRD after the Omnibus?

EU companies and EU-listed issuers with more than 1,000 employees and net turnover above €450 million. Both thresholds must be met. The rules apply for financial years starting on or after January 1, 2027, with first reports in 2028. The European Commission estimates about 6,750 companies remain in scope, roughly 15% of the original population.

What is the CSRD value chain cap?

A legal limit on the sustainability data that CSRD reporters can require from value chain companies with up to 1,000 employees. These companies can refuse requests that go beyond the essential disclosures of the EU voluntary standard, and reporters who ask for more must say so and flag the right to decline.

The cap covers CSRD reporting data only. Environmental Product Declaration (EPD) and other product data requests under the CPR, ESPR, or procurement are unaffected.

When do the revised ESRS apply?
From financial years starting on or after January 1, 2027, provided the European Parliament and the Council raise no objection during the ongoing scrutiny period. Companies already reporting can apply them voluntarily for financial year 2026, or keep the 2023 standards with selected reliefs. Each sustainability statement must state which version of the standards it applies.

Do companies outside the CSRD scope still need sustainability data?

In practice, yes. Customers, banks, and investors keep requesting sustainability information, and the EU voluntary standard gives companies with up to 1,000 employees a single, recognized format for answering them. Product-level requirements such as EPDs and product carbon footprints under the CPR, ESPR, and CBAM apply independently of CSRD scope.
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