It is unclear how the policy intent that Scope 3 disclosures would represent ‘information that is available at the reporting date without undue cost or effort’ is reflected in-practice.
Read the full submission here.
It is unclear how the policy intent that Scope 3 disclosures would represent ‘information that is available at the reporting date without undue cost or effort’ is reflected in-practice.
Read the full submission here.
The NFF calls on the Australian Government to ensure that the proposed capital gains tax (CGT) changes in the Treasury Laws Amendment (Tax Reform No. 1) Bill 2026 do not undermine the ongoing viability, productivity and...
The proposed Environmental Offsets Standard is not yet sufficiently clear or practical for implementation in agricultural landscapes. There is a need to clearly define how key concepts will work in-practice so that...
At a high-level, NFF does not support the MNES Standard that has been presented. The draft Standard does not provide a clear, practical, or viable pathway for agriculture to assess our obligations or determine whether...

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