All regulations
EU · PHASED 2028-2030

Built for CSDDD.

Whether you fall directly under CSDDD or supply to companies that do — build the supply chain due diligence systems the directive demands.

For EU-based companies and their global suppliers.

The directive

What CSDDD actually requires.

CSDDD requires in-scope EU companies (large companies with significant turnover) to identify, prevent, mitigate, and account for adverse human rights and environmental impacts across their operations and supply chains — including chain of activities upstream and (in part) downstream.

    01

    Integrate due diligence into policies.

    02

    Identify actual and potential adverse impacts.

    03

    Prevent and mitigate adverse impacts.

    04

    Bring actual impacts to an end.

    05

    Monitor effectiveness.

    06

    Communicate publicly.

Whether you're regulated directly or indirectly

Two audiences. One toolkit.

Some Geometrack clients fall directly under CSDDD scope. Many more are global suppliers to companies that do — meaning your European buyers will demand the same evidence from you. Geometrack helps both produce it.

From requirement to system

Five systems CSDDD requires — built into one platform.

Supply chain risk mapping

Identify human rights and environmental risks across your supplier base — concession by concession, mill by mill, group by group.

Powered by: Supplier Group Profiling · Ownership Mapping · Mill Sustainability Risk Index

Grievance and complaint systems

Structured grievance handling — case intake, dispute analysis, resolution tracking, and audit-ready documentation.

Powered by: Grievance Mechanism Support · Grievance Analytics · Social Grievance Monitoring

Mitigation and prevention

Move from identification to action — supplier engagement, transformation programs, and remediation tracking.

Powered by: Supplier Engagement · Supplier Transformation · Recovery & Remediation Support

Continuous monitoring

Ongoing supply chain monitoring with verified alerts, ownership tracking, and policy compliance checks.

Powered by: NDPE Monitoring · Non-Compliance Trackers · Helpdesk Platform

Audit-ready disclosure

ESRS-aligned reporting outputs — what CSDDD requires you to communicate publicly, structured to meet the disclosure standards CSDDD references.

Powered by: ESG Evidence Vault · Disclosure Intelligence Dashboard · IRF/ESRS Mapping Dataset

When CSDDD applies to you

Phased application 2028-2030.

Wave 1 (largest companies, 5,000+ employees and €1.5B+ net worldwide turnover): 26 July 2028. Wave 2 (3,000+ employees and €900M+): 26 July 2029. Wave 3 (1,000+ employees and €450M+): 26 July 2030. Member State transposition deadline: 26 July 2027. Indirect impact on suppliers begins now, as in-scope EU buyers prepare.

What teams miss

Five gaps that block CSDDD readiness.

    01

    Supplier risk mapping at company level, not group level.

    02

    No structured grievance system.

    03

    Mitigation is ad-hoc, not documented.

    04

    Monitoring lacks verified alert sources.

    05

    Disclosure-ready data not mapped to ESRS.

How ready is your supply chain for CSDDD?

Bring your supplier base and your CSDDD wave — we'll show you the systems that need work and the timeline.