Corporate Law - Enforcement and Reporting
The closing months of 2022 will see many companies gear up for sustainability reporting as political breakthroughs at EU level pave the way for the formal adoption of the Corporate Sustainability Reporting Directive next month.
Following in its path will be more substantive corporate sustainability obligations – beyond simply reporting – in the form of the Corporate Sustainability Due Diligence Directive. That measure, as yet, remains some way off but early engagement by companies is strongly advised.
Compliance and enforcement will also be a key theme in the corporate sphere. Publication of the draft Screening of Third Country Transactions Bill has, at last, given us a flavour of what the Irish investment screening regime is set to look like. The new Corporate Enforcement Authority, with its additional staff and an increased budget, has already issued a number of guidance statements and has carried out a number of high profile arrests for company law offences. The Companies Registration Office has signalled that the period of leniency in enforcement, resulting from the Covid-19 pandemic is over. In tandem with this, the expiry of flexibilities granted to companies under Covid-relief legislation is fast approaching. Corporate clients should continue to ensure that robust compliance and oversight policies are in place.
The coming months should bring some clarity on measures to allow companies change their legal form and relocate to another jurisdiction within the EU, as the deadline for transposition of the governing EU mobility directive approaches. The government's approach to discretionary elements under the EU directive will be key to unlocking the potential of this EU initiative and the resulting legal framework.