CBAM, CCTS, EPR, and buyer ESG questionnaires all draw from the same emissions register — we build that register once and answer every regulator and every buyer from it.
Think
Know your exposure before the first filing is due.
- CBAM exposure mapping for exporters: which consignments, which default values, which verified path
- CCTS obligated-entity assessment against your notified intensity target
- EPR and EUDR due-diligence scoping for regulated categories
- BRSR and buyer ESG questionnaire gap review
Verified emissions data, not the EU's default assumption, is what decides whether you pay the exporter's real number or a conservative estimate.
Transform
Build the register that every filing draws from.
- MRV (monitoring, reporting, verification) register setup, Scope 1, 2 and 3
- CBAM monitoring plans and SOPs for data collection at the plant
- CCTS certificate position tracking against the surrender deadline
- Verification-ready emissions workbooks, one register feeding every downstream filing
The same inventory answers a listed customer's BRSR value-chain request, an EU buyer's questionnaire, and your own EPR and CBAM filings, computed once.
Operate
File, verify, and defend the number every cycle.
- CBAM importer data packs and quarterly declarations
- CCTS certificate buy/surrender execution ahead of the deadline
- Verification statement coordination with accredited verifiers
- EPR returns and EUDR due-diligence files, filed on schedule
A worked example
An exporter selling into the EU while also notified as an obligated entity under India's Carbon Credit Trading Scheme runs both regimes off one emissions register rather than maintaining two: the same activity data feeds the CBAM declaration and the CCTS compliance obligation, computed once and reconciled against each regulator's own reporting format rather than recalculated from scratch for each filing.
Common questions
What's the difference between CBAM and CCTS, and do we need both?
CBAM applies to importers of specified goods into the EU; CCTS applies to entities notified as obligated under India's Carbon Credit Trading Scheme. Many exporters sit in both regimes at once, which is why we track a dual-regime position rather than treating them as separate engagements.
We're not currently notified as an obligated entity — is there anything to do now?
Yes: exposure mapping and register setup before notification means the first filing isn't a scramble. We build the MRV register early so it's ready the moment an obligation is confirmed.
Can the same data serve our BRSR disclosure and our CBAM filing?
Yes, that's the design — one emissions register, computed once, answering every regulator and buyer questionnaire that draws on the same underlying numbers.
One emissions register. Every filing it feeds.
CBAM, CCTS, EPR, and buyer ESG questionnaires, computed once and filed everywhere they're owed.
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