ESRS 1 · CSRD · Logistics

Double Materiality Assessment
for Logistics

Logistics companies face concentrated materiality on transport emissions, air pollution, driver working conditions, and the financial risk of fleet decarbonisation.

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Double materiality assessment for Logistics

Logistics and transport companies face a materiality profile concentrated around a small number of high-severity topics. Transport accounts for approximately 25% of EU greenhouse gas emissions (Eurostat 2023), and road freight alone represents nearly 30% of transport emissions. A European haulage company with 400 trucks, 800 drivers, and EUR 90M revenue will find E1 Climate change material before any other topic. The sector's dependence on fossil fuels creates acute double materiality: the entity's fleet emissions contribute to climate change (impact materiality), while fuel price volatility, carbon pricing under the EU ETS extension to road transport (effective 2027), and the capital cost of fleet electrification create financial exposure.

E1 Climate change dominates the assessment. Scope 1 from owned fleet vehicles is typically 80-90% of total emissions for a road haulage operator. Scope 3 includes upstream fuel production and, for 3PL providers, the emissions of subcontracted carriers. The EU's CO2 emission standards for heavy-duty vehicles (Regulation 2024/1610) require a 45% reduction in average fleet emissions by 2030, 65% by 2035, and 90% by 2040, creating direct financial materiality through vehicle replacement costs and potential non-compliance penalties. E2 Pollution is material through NOx, particulate matter, and tyre and brake particle emissions from diesel vehicles. Urban access restrictions (low emission zones in over 300 European cities as of 2024) add financial materiality by limiting where the fleet can operate. S1 Own workforce covers driver working conditions: driving hours compliance (Regulation EC 561/2006), rest period adequacy, health impacts of sedentary work and irregular schedules, and fair compensation structures. For logistics companies using agency drivers or independent owner-operators, S2 Workers in the value chain captures the same risks for non-employee drivers. G1 Business conduct addresses fuel tax compliance, cabotage regulation adherence, and procurement practices in competitive tendering.

Assurance providers reviewing logistics assessments flag two recurring issues. First, entities assess E1 only for their owned fleet and exclude subcontracted carriers from the emissions calculation. For 3PL providers that subcontract a significant share of transport, this can exclude 40-60% of the total transport emissions. ESRS 1.30 requires value chain inclusion. Second, entities underassess the financial materiality of fleet transition. The capital expenditure required to transition from diesel to electric or hydrogen trucks is EUR 100,000-200,000 per vehicle above the diesel equivalent. For a 400-truck fleet, this represents EUR 40-80M in additional capital over the replacement cycle. This is a material financial risk that must be captured in the E1 assessment.

Logistics companies should organise the assessment around fleet segments (owned road, subcontracted road, rail, sea, air) and operational bases. Calculate Scope 1 emissions from fleet fuel consumption data (litres consumed, multiplied by DEFRA or national emission factors). For subcontracted transport, estimate emissions using tonne-kilometre data and the GLEC Framework emission factors. Score E2 based on Euro emission class of the fleet and proximity of operations to sensitive receptors (urban areas, schools, hospitals). For S1, use tachograph data, driver turnover rates, and occupational health records as evidence inputs.

Frequently asked questions: Logistics

Should logistics companies assess E3 Water and marine resources?
For road haulage operators, E3 is typically not material. For shipping companies, E3 is potentially material through ballast water discharge, hull anti-fouling chemicals, and fuel spill risk. For warehouse operators, E3 depends on water consumption for cooling or fire suppression systems. Assess based on the specific operations.
How does the EU ETS extension to road transport affect E1 financial materiality?
The EU ETS 2 (covering road transport and buildings) starts in 2027. Fuel suppliers will purchase emission allowances, and the cost will pass through to fuel prices. Estimates from the European Commission's impact assessment suggest a carbon cost of EUR 45-65 per tonne of CO2 initially, rising over time. For a 400-truck fleet consuming 12 million litres of diesel annually (approximately 32,000 tonnes CO2), this represents EUR 1.4-2.1M in additional annual fuel costs. Score this as financial materiality under E1 using the entity's actual fuel consumption data and carbon price scenarios.
Is E4 Biodiversity relevant for logistics companies?
Rarely for fleet operations. E4 may be relevant for companies developing new distribution centres or terminal facilities on greenfield sites, or for port operators whose infrastructure affects marine habitats. Road transport operations on existing infrastructure do not typically trigger E4 materiality.
How should 3PL companies handle the S2 assessment for subcontracted drivers?
Treat subcontracted carriers as part of the value chain per ESRS 1.30. Assess S2 based on the working conditions of drivers employed by subcontractors: driving hours compliance, vehicle safety standards, payment practices, and social security coverage. Use subcontractor audit data, compliance records from road transport inspections, and contractual requirements as evidence. The EU Mobility Package (Regulation 2020/1054) sets minimum standards that provide the regulatory baseline for scoring.

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