Mandatory ESG Reporting and XBRL Taxonomies Combination: ESG Ratings and Income Statement, a Sustainable Value-Added Disclosure

: Corporate ﬁnancial statements address multiple stakeholders’ needs. International Financial Reporting Standards (IFRSs), among others, allow two different classiﬁcations, “by function of expense” and “by nature of expense”, for the statement of proﬁt and loss and other comprehensive income for the period (from now on, also identiﬁed in short as “Income Statement”, or “IS”). XBRL standards ensure compliance and consistency in ﬁnancial statements’ drafting and ﬁling. XBRL taxonomies reﬂect the Income Statement IFRS disclosure requirement in the {310000} and {320000} codiﬁcations, respectively. Given the recent EU enhanced regulations that proposed extend mandatory ESG reporting to SMEs, this study aims to design and recommend an additional Income Statement to embed structured Environmental, Social, and Governance (ESG) disclosure. A restatement of the IS is organised following an adjusted Value-Added perspective to ﬁt the purpose of sustainability disclosure. The above-mentioned Income Statement should be suitable and adaptable for entities of any size and operating in any industry. This goal can be achieved through customised input weighting. Therefore, this applied research can ﬁll a current ﬁnancial ESG disclosure gap, ensuring ﬁnancial statements’ comparability and encouraging additional mandatory disclosures through standardisation. Two more items in the XBRL (IFRS-based) structure are suggested, leading to the introduction of one fully structured statement “{330000}— Statement of comprehensive income, proﬁt or loss, by Added Value, ESG based ” and a semi-structured “{814000}— Notes—ESG Ratings and Reporting ” to better discuss and disclose the assumptions and results of the ESG Statement.


Introduction
ESG disclosure is becoming increasingly regulated and essential to the stakeholders, more aware and sensitive to Environmental, Social, and Governance perspectives. Corporations play a significant role in the communities in which they operate [1][2][3]. Therefore, their accountability [4,5] should be considered, measured, and systematically disclosed to ensure transparency, comparability, and stakeholders' awareness [6,7]. Attempts to measure and inform sustainability outcomes and financial performances have led to autonomous Sustainability Reports, discretionarily presented by the companies [8,9].
Structured financial statement disclosure, unlike ESG reporting, is enforced and highly regulated by laws, accounting standards, and other regulations [10][11][12]. EU law enforces large companies ("public-interest entities exceeding on their balance sheet dates the criterion enforces large companies ("public-interest entities exceeding on their balance sheet dates the criterion of the average number of 500 employees during the financial year", Directive 2014/95/EU. This requirement integrates the previous Directive 2013/34/EU) "to disclose information on the way they operate and manage social and environmental challenges" [13], while all the other entities are likely to be soon expected to meet extended mandatory ESG reporting, according to the recent EU proposal [1,2].
The accounting process (see Figure 1) starts from (1) bookkeeping of companies' transactions, followed by (2) trial balance, (3) financial statement disclosure, and (4) financial statement analysis [14]. While sole traders and unincorporated entities are usually only expected to comply with the first two steps of the accounting process, incorporated companies must provide additional disclosure through structured, standardised financial statements that many stakeholders analyse through flows and ratios [15]. In this research, the authors will refer to incorporated entities only, as sole traders' and unincorporated entities' disclosure remain limited.
International Financial Reporting Standards (IFRSs) issued by the International Accounting Standard Board (IASB) apply to listed corporations of European countries and many others worldwide, resulting in the most popular accounting standards, followed by the US GAAPs (Generally Accepted Accounting Principles), along with many other accounting standards issued by national/local accounting professional bodies [16]. The eXtensible Business Reporting Language (XBRL) is the "open international standard for digital business reporting" [17]. Incorporated entities in most countries should submit their annual report to public registers (i.e., Companies Houses in the UK, SEC's Edgar database in the US) codified according to this standardised language and file extension (XBRL) [18].
These standards aim to ensure accuracy (through formal mistakes avoidance and accounting equation balance), data processing automation, consistency, and comparability. Although the XBRL taxonomy was initially applied to the annual report schemes to better classify structured data, its application was progressively extended to the notes to include unstructured (text) data [19][20][21].
Corporate financial disclosure is essential to ensure transparency and accountability, and its filing according to the XBRL taxonomies is worldwide required. However, these standards still do not include any specific reference to the ESG disclosure. Therefore, this study traces the path to a further extension of the XBRL application to a standardised Sustainability Report. Although some attempts have been carried out to integrate financial and non-financial reporting [22] or to unify the XBRL reporting, using a "twin-track approach" [23], the configuration of a new XBRL Income Statement suitable for ESG purposes has never been considered so far.
In this research, Section 2 identifies materials and methods by defining research gaps and formulating three research questions. Framework and results are presented in Section 3, where the current ESG reporting methodologies are presented and compared with the proposed XBRL-based application. Discussions and conclusions are then included in Section 4 and followed by the limitations in Section 5. The eXtensible Business Reporting Language (XBRL) is the "open international standard for digital business reporting" [17]. Incorporated entities in most countries should submit their annual report to public registers (i.e., Companies Houses in the UK, SEC's Edgar database in the US) codified according to this standardised language and file extension (XBRL) [18].
These standards aim to ensure accuracy (through formal mistakes avoidance and accounting equation balance), data processing automation, consistency, and comparability. Although the XBRL taxonomy was initially applied to the annual report schemes to better classify structured data, its application was progressively extended to the notes to include unstructured (text) data [19][20][21].
Corporate financial disclosure is essential to ensure transparency and accountability, and its filing according to the XBRL taxonomies is worldwide required. However, these standards still do not include any specific reference to the ESG disclosure. Therefore, this study traces the path to a further extension of the XBRL application to a standardised Sustainability Report. Although some attempts have been carried out to integrate financial and non-financial reporting [22] or to unify the XBRL reporting, using a "twin-track approach" [23], the configuration of a new XBRL Income Statement suitable for ESG purposes has never been considered so far.
In this research, Section 2 identifies materials and methods by defining research gaps and formulating three research questions. Framework and results are presented in Section 3, where the current ESG reporting methodologies are presented and compared with the proposed XBRL-based application. Discussions and conclusions are then included in Section 4 and followed by the limitations in Section 5.

Materials and Methods
In this research, the authors started with the existing literature analysis on the following broad topics: ESG reporting, Sustainability Reports, XBRL applications, and financial statements regulations. Therefore, the investigation was extended to using the Value-Added Income Statement (VAIS) [24,25] and the existing ESG rating risk methodologies implemented by Sustainalytics [26] and MSCI [27] (which is also available in the Bloomberg database).
However, the literature review just served as the grounding framework to shift accounting practices by developing enhanced disclosures.
Indeed, this research approach led to the identification of the following research gaps and related research questions: Although (big) data analyses can currently rely on both structured, semi-structured, or unstructured data [28,29], the accuracy, easiness, and readiness of quantitative (structured and semi-structured) data is far more preferrable than qualitative (unstructured data) [30][31][32][33], particularly when the standardisation is achieved through the XBRL taxonomy [34]. The potential exploitation of financial statement databases by the stakeholders can undoubtedly be more straightforward in case of numerical statements, rather than descriptive notes. Income Statement, Balance Sheet, and Cash Flow Statement are currently the main quantitative-structured statements that disclose entities' financial position. The Balance Sheet includes the resources and obligations of an entity at a particular time considered. The Income Statement records the value of the positive components of income (revenues) and negative ones (costs), illustrating their origin and composition. The Cash Flow Statement is aimed at ascertaining and illustrating the causes that explain the variation suffered by a certain financial resource in a given period of time, summarizing the incoming and outgoing movements that determined it in a scaled form. While the Balance Sheet is able to provide only "stock" values, referring to a given instant, and the Income Statement expresses flow values, referring to the economic dynamics, the Cash Flow Statement explains how the company has generated, employed, and collected liquidity. This is fundamental information for all the stakeholders that revolve around the company. The Income Statement, in particular, can be reclassified according to different perspectives.

RQ2: How Can the VAIS Be Duly Re-Stated to Serve Sustainability Purposes?
In the Sustainability Report, Added Value is understood as the difference between revenues and production costs that do not constitute remuneration for corporate stakeholders. From this point of view, the concept of Added Value adopted here differs from the more strictly accounting definition because it adopts the methodology proposed in 2001 by the Study Group for the Social Report (GBS, "Gruppo di Studio per il Bilancio Sociale" [35]) in Italy, which allows us to consider and measure how much wealth has been produced, how it was produced, and how it is distributed among the stakeholders. The determination of the Added Value highlights the ability to generate wealth, in the reference period, for the benefit of the various stakeholders, while respecting the cost-effectiveness of management and the expectations of the interlocutors themselves.

RQ3: Is It Feasible to Develop an ESG-Based VAIS XBRL Template?
Like most exploratory research, the creation of a development model falls within the very purpose of the article and is based on the positivist research model. Positivism is a philosophical movement that was widespread in nineteenth-century Europe, influencing philosophical thought and scientific, historical, and literary thought. It bases knowledge on facts and derives certainty exclusively from the observation of the experimental sciences. The use of the term "positive" reveals an ideology or a program of economic, social, or political action that sees science and technology as the foundation of its ideals and the tool to achieve them. All knowledge regarding matters is based on the "positive" data of experience; science is the only valid and practical knowledge. This research is qualitative, aimed at identifying a new disclosure model for companies' financial and non-financial information. Therefore, the search for qualitative information attempts to describe a topic rather than measure it. Qualitative research is less structured and aims to investigate the case to gather information about people's motivations, thinking, and attitudes. This framework provides a deep understanding of the research questions, making it more challenging to analyse the results. Therefore, a new theoretical framework is suggested to generate standardised ESG indicators/reports to disseminate better and consistently sustainability matters worldwide, supporting a transition to compulsory ESG extended disclosure for entities of any size (see Figure 2). Given that under the current regulations, apart from public interest entities (more than 500 employees), the ESG disclosure is merely voluntary, non-financial information can be eventually only included in the Notes to Financial Statements, under the anticipated mandatory standardised (enhanced disclosure), Sustainability, ESG Reports, and ESG Ratings will be included in the corpus of statements disclosure for any business. Convergence to the proposed, standardised model is suggested.
The article structure follows the logical sequence of analysis performed.

RQ3: Is It Feasible to Develop an ESG-Based VAIS XBRL Template?
Like most exploratory research, the creation of a development model falls within the very purpose of the article and is based on the positivist research model. Positivism is a philosophical movement that was widespread in nineteenth-century Europe, influencing philosophical thought and scientific, historical, and literary thought. It bases knowledge on facts and derives certainty exclusively from the observation of the experimental sciences. The use of the term "positive" reveals an ideology or a program of economic, social, or political action that sees science and technology as the foundation of its ideals and the tool to achieve them. All knowledge regarding matters is based on the "positive" data of experience; science is the only valid and practical knowledge. This research is qualitative, aimed at identifying a new disclosure model for companies' financial and non-financial information. Therefore, the search for qualitative information attempts to describe a topic rather than measure it. Qualitative research is less structured and aims to investigate the case to gather information about people's motivations, thinking, and attitudes. This framework provides a deep understanding of the research questions, making it more challenging to analyse the results. Therefore, a new theoretical framework is suggested to generate standardised ESG indicators/reports to disseminate better and consistently sustainability matters worldwide, supporting a transition to compulsory ESG extended disclosure for entities of any size (see Figure 2). Given that under the current regulations, apart from public interest entities (more than 500 employees), the ESG disclosure is merely voluntary, non-financial information can be eventually only included in the Notes to Financial Statements, under the anticipated mandatory standardised (enhanced disclosure), Sustainability, ESG Reports, and ESG Ratings will be included in the corpus of statements disclosure for any business. Convergence to the proposed, standardised model is suggested.
The article structure follows the logical sequence of analysis performed. Current and proposed frameworks are presented in the results section. Specific analysis of (a) accounting standards, regulations, and financial statements requirements, (b) Current and proposed frameworks are presented in the results section. Specific analysis of (a) accounting standards, regulations, and financial statements requirements, (b) Sustainability and ESG Reports, (c) ESG rating methodology, and (d) current XBRL taxonomy and enhanced XBRL taxonomy proposed. Limitations are also separately identified, and the model's feasibility, application, and benefits are presented in the Discussion and Conclusion section. Moreover, the proposed framework is supported by the recent EU provisional agreement on the European Climate Law [1,2]. Companies are already increasingly demonstrating their willingness to promote and build a corporate culture based on responsibility through activities based on social and environmental sustainability criteria, Sustainability 2021, 13, 8876 5 of 17 thus disclosing transparent reports to all stakeholders [36]. This trend is likely to continue as supported by these new regulations.
The main focus of this research is to design a suitable solution to combine mandatory ESG reporting with XBRL taxonomy. Implementation challenges associated with different entities' sizes are also identified and analysed. Therefore, the context of the regulation will be just introduced, providing the basic needed knowledge to the reader. At the same time, the authors focus more on the application, considered the most relevant contribution to the literature. This aim will be achieved by presenting a so-called "ESG Scoring Value-Added Income Statement and Weighted Average ESG % Score". This standardised disclosure follows existing approaches that proved very efficient in measuring and assessing business performances [36] and credit risk [37].

Framework and Results
Since the end of the 20th century, sustainable initiatives and reforms have followed increased awareness of corporate responsibility matters, other than economic and financial performances, including climate change, environmental, social, and governance [38].
Corporate stakeholders range from a variety of interests more or less aligned with the companies' ones. Different levels of strength characterise stakeholders' connections and influence with corporate actions. Multiple stakeholders gravitate around the company on orbits that vary according to the power of the interests they hold [39]. In the stakeholders' galaxy (see Figure 3), the most substantial interests are those held by the stakeholders linked to the company by related contractual or legal obligations.
Sustainability and ESG Reports, (c) ESG rating methodology, and (d) current XBRL taxonomy and enhanced XBRL taxonomy proposed. Limitations are also separately identified, and the model's feasibility, application, and benefits are presented in the Discussion and Conclusion section. Moreover, the proposed framework is supported by the recent EU provisional agreement on the European Climate Law [1,2]. Companies are already increasingly demonstrating their willingness to promote and build a corporate culture based on responsibility through activities based on social and environmental sustainability criteria, thus disclosing transparent reports to all stakeholders [36]. This trend is likely to continue as supported by these new regulations.
The main focus of this research is to design a suitable solution to combine mandatory ESG reporting with XBRL taxonomy. Implementation challenges associated with different entities' sizes are also identified and analysed. Therefore, the context of the regulation will be just introduced, providing the basic needed knowledge to the reader. At the same time, the authors focus more on the application, considered the most relevant contribution to the literature. This aim will be achieved by presenting a so-called "ESG Scoring Value-Added Income Statement and Weighted Average ESG % Score". This standardised disclosure follows existing approaches that proved very efficient in measuring and assessing business performances [36] and credit risk [37].

Framework and Results
Since the end of the 20th century, sustainable initiatives and reforms have followed increased awareness of corporate responsibility matters, other than economic and financial performances, including climate change, environmental, social, and governance [38].
Corporate stakeholders range from a variety of interests more or less aligned with the companies' ones. Different levels of strength characterise stakeholders' connections and influence with corporate actions. Multiple stakeholders gravitate around the company on orbits that vary according to the power of the interests they hold [39]. In the stakeholders' galaxy (see Figure 3), the most substantial interests are those held by the stakeholders linked to the company by related contractual or legal obligations. Transactions with shareholders (dividend distribution, capital contribution), distributors (fees on sales), suppliers (purchases), governments (taxes), professionals such auditors and lawyers (professional fee), customers (sales), employees (wages and salaries), and creditors (interest expenses, borrowings) are always recorded in the bookkeeping process and reflected in the financial statements. Furthermore, many other entities indirectly hold stakes with the company. Among others, it is possible to consider business analysts, in-Sustainability 2021, 13, 8876 6 of 17 ternational authorities, local authorities, local community, unions, city and country, lobby groups, policy makers, insurers, competitors, media, earth, charities, and zealots.
The need for corporate accountability in terms of spillovers and other externalities directly or indirectly generated by company operations has been increasingly recognised and enforced through regulations, protocols, and agreements. However, the ESG and sustainability disclosure is still mostly voluntary and discretionary. The purpose of the IAS/IFRS is to create a common accounting language for companies operating within the European community to make easier and more transparent the comparison between the financial statements and the financial information of companies operating in different countries to benefit investors. Their application has been increasingly extended worldwide, and it is already trendy in many other countries and geographic areas outside the EU [40].
Since 2006, the incorporated entities expected to use the IAS/IFRS international accounting standards for the preparation of the separate and consolidated financial statements are the following: • Listed companies; • Banks and financial intermediaries subject to supervision; • All companies issuing widespread financial instruments; • Unlisted insurance companies with reference only to the consolidated financial statements; • Listed insurance companies.
The option, and not the obligation, to prepare the financial statements according to the IAS/IFRS standards is given to:

•
Companies included in the consolidation of companies obliged to prepare consolidated financial statements in compliance with IAS; • Companies subject to the obligation of preparation or included in a consolidated financial statement [41].
The criteria for evaluating and presenting company accounts to stakeholders according to IAS/IFRS standards ensure advantages that can be reflected on the company's image and reputation. These are exceptionally significant aspects if the company plans, in the medium term, to join the stock market, and therefore to be listed on the stock exchange. Reliability and analysis of the accounts and business processes lead to identifying numbers representing an Added Value and an advantage for the companies that decide to apply these international standards. Finally, it is also possible to obtain a return of image even with customers and suppliers.
The IAS/IFRS standards determine the use of specific accounting criteria set on the financial nature of the financial statement information. The substance over form principle is based on which transactions are accounted for regarding their legal nature and their substantial intrinsic nature. The fair value method is also envisaged to evaluate certain assets/liabilities instead of the cost criterion. The financial statements drafted according to international accounting standards aim for financial statements to be also examined possible stakeholders outside the company.
IAS/IFRS-compliant financial statements must include the following documents: • The Statement of Financial Position (Balance Sheet); The Notes with the function of adding and clarifying information can be obtained from the financial statements [42].

Sustainability-ESG Reports
EU regulations require large companies to disclose certain information on how they operate and manage social and environmental challenges. This disclosure obligation is intended to support investors, consumers, policy makers, and other interested parties in evaluating the non-financial performance of large companies by encouraging them to develop a responsible approach.
Directive 2014/95/EU, also known as the Non-Financial Reporting Directive (NFRD), sets the rules on disclosing non-financial information and on diversity by large companies. This Directive amends the Accounting Directive 2013/34/EU. Companies must include non-financial statements, in unstructured textual formats, in their annual reports starting in 2017.
The Non-Financial Reporting Directive applies only to significant public interest companies with over 500 employees, resulting in approximately 6000 large companies and groups across the European Union, including banks, insurance companies, and other designated companies by national authorities as an entity of public interest.
Under the Directive mentioned above, large companies must submit reports on the policies they implement concerning environmental protection, social responsibility and treatment of employees, respect for human rights, anti-corruption, and diversity on the boards of directors (in terms of age, gender, training, and professional background).
Directive 2014/95/EU gives companies considerable flexibility in disclosing relevant information in the way they find most useful. Companies can use international, European, or national guidelines to produce their statements. For example, they can base their statements on United Nations Global Compact, OECD guidelines for multinational companies, or ISO 26000.
In June 2017, the European Commission published its guidelines to help companies disclose environmental and social information. However, these guidelines are not mandatory, and companies may decide to use international, European, or national policies based on their characteristics or business environment. Finally, it should be noted that, in June 2019, the European Commission published guidelines on reporting climate-related information, which in practice consist of a new supplement to the existing guidelines on non-financial reporting, which remain applicable.
The European Commission initially determined the Action Plan on "Financing Sustainable Growth" back in March 2018. Furthermore, the recent EU Taxonomy Climate Delegated Act adopted by the European Commission on 21 June 2021 is part of a broader European Green Deal strategy, further recently enhanced on 4 June 2021 [43].
These acts not only are the most recent among many other international reforms that aim to tackle climate change (ranging from Kyoto Protocol (1997) to Paris Climate Change Agreement (2016)), but they are also the most relevant in terms of disclosure enforcement. Moreover, these regulations turn ESG reporting into mandatory disclosure while the European Commission implements suitable standards to reduce the green-washing risk.
However, all the above are based on unstructured data generated in textual formats (eventually also reported in the Notes of the Financial Statements) to ensure greater flexibility based on the specific characteristics of the industries in which the companies operate.

Current ESG Rating Methodologies
An already existing and successful application mitigates the need for unstructured flexible information through numerical indicators, as is the case of ESG Ratings. These Sustainability 2021, 13, 8876 8 of 17 ratings demonstrate that it is possible to achieve a comprehensive methodology that applies to all the companies, suitably adapted/adjusted for each industry. Examination of the existing literature, Sustainalytics, MSCI, and Bloomberg resulted in the most popular international providers of ESG Ratings. However, while Sustainalytics and MSCI disclosed their methodologies, the proprietary one developed by Bloomberg was not made public, and it is also limited to the oil and gas sector. Therefore, the authors' analyses only focused on the two available methodologies.
Indeed, measuring externalities (both positive and negative) is challenging. Many other market players usually influence the effect generated by the company action. Therefore, externalities cannot be easily (entirely) attributed to a specific entity, and determining the weight of contribution can be even more difficult. However, Sustainalytics and MSCI seem to have implemented and tested consistent alternative methodologies to overcome the challenges. Both companies tested their models and achieved statistically reliable rankings. Both methods use a combination of quantitative-structured and qualitative-unstructured data referring to the industry (and sub-industry) and the specific company (such as 10k, Sustainability Reports, proxy report, AGM results). The main limitation that can be identified is that the examined methodologies seem to focus mainly on governance and sustainability rather than environmental matters. This concern is not surprising, as little data can be placed in the disclosures and matched with specific risks.
The rating scale used by Sustainalytics is based on a generally mixed ESG outcome that ranges from Negligible, Low, Medium, High, to Severe. The rating scale used by MSCI ranges from AAA, AA, A, BBB, BB, B, to CCC. However, there is no specific indication of how each factor (Environmental, Social, and Governance) contributed to the attributed rating when tested in the respective websites' research engines.
However, given that the MSCI ESG Ratings are also available in Bloomberg Terminals (not to be confused with the proprietary ESG Ratings developed by Bloomberg itself) [44], it can be noticed that specific scores are attributed to the Environmental Social and Governance elements. Moreover, the average of these detailed results does not match the overall outcome, suggesting that variable weights are attributed to each component.

Current Taxonomy
The most popular XBRL taxonomy is considered for this article purposes. Namely, the last updated, adopted to submit financial statements compliant with the IAS/IFRS accounting standards [45].
As already recently highlighted by a report published by the Spanish Central Bank [46], "The multiplicity of standards and recommendations and the fact that there is still no XBRL taxonomy for ESG reporting, which would make this data computer-readable, means that analysts have to go through usually lengthy pdf documents to extract the key information they require for their analysis, whether it is for supervisory, credit assessment, investment or other purposes". According to the authors, this situation usually results in ESG disclosure provided in a separate document, non-XBRL compliant.
However, although in textual unstructured format, it is still possible to argue that ESG disclosure could still be included in the XBRL taxonomy, namely in the general residual codification "{880000} Notes-Additional information" (Appendix A, Table A1).

Value-Added Income Statement
In Sustainability Reports, Value-Added is considered as the difference between the revenues and costs of production. It can be therefore considered as the "difference between revenues and costs incurred for the purchase of production factors from other companies, and thus represents the value that the internal production factors of the company, risk capital and labour, have "added" to the inputs attained from outside" [47].
Added Value (or Value-Added) in sustainability studies assumes a different meaning than in the accounting field. Indeed, it can be referred to the methodology suggested in 2001 by the Study Group for the Social Report (GBS, "Gruppo di Studio per il Bilancio Sociale" [35]) in Italy. Mei [48][49][50] and Manni [51][52][53][54] further refined the methodology above. According to this perspective, the Added Value can bridge the Sustainability Report with the Financial Statements. Added Value production and distribution allow financial statements analyses from the stakeholders' points of view (see Figure 4).

Value-Added Income Statement
In Sustainability Reports, Value-Added is considered as the difference between the revenues and costs of production. It can be therefore considered as the "difference between revenues and costs incurred for the purchase of production factors from other companies, and thus represents the value that the internal production factors of the company, risk capital and labour, have "added" to the inputs attained from outside" [47].
Added Value (or Value-Added) in sustainability studies assumes a different meaning than in the accounting field. Indeed, it can be referred to the methodology suggested in 2001 by the Study Group for the Social Report (GBS, "Gruppo di Studio per il Bilancio Sociale" [35]) in Italy. Mei [48][49][50] and Manni [51][52][53][54] further refined the methodology above. According to this perspective, the Added Value can bridge the Sustainability Report with the Financial Statements. Added Value production and distribution allow financial statements analyses from the stakeholders' points of view (see Figure 4). The Added Value generated by the production (intended as a difference between customer revenues and raw production factors) is distributed to different contributing capitals with peculiar priorities and proportions. Although the ranking is set by contracts (labour, purchase, financing) or by law (taxation), the proportions may vary, depending on the company's performance (see Figure 5). The Added Value generated by the production (intended as a difference between customer revenues and raw production factors) is distributed to different contributing capitals with peculiar priorities and proportions. Although the ranking is set by contracts (labour, purchase, financing) or by law (taxation), the proportions may vary, depending on the company's performance (see Figure 5). Addressing "RQ1-Which Statement can better represent the ESG disclosure?" and "RQ2: How can the VAIS be duly re-stated to serve sustainability purposes?" the above findings safely and consistently demonstrate that the VAIS seems to be the most appropriate statement to disclose ESG matters. The proposed extended Value-Added Income Statement rooted on the Italian GBS Model implemented back in 2001 further reinforce the validity of this approach by better mapping and matching stakeholders and returns. Addressing "RQ1-Which Statement can better represent the ESG disclosure?" and "RQ2: How can the VAIS be duly re-stated to serve sustainability purposes?" the above findings safely and consistently demonstrate that the VAIS seems to be the most appropriate

Enhanced Taxonomy
Given the above-presented findings, supported by the existing literature [22,23,[49][50][51][52][53][54], it is now possible to address "RQ3: Is it feasible to develop an ESG-based VAIS XBRL template?" by developing a new enhanced VAIS, considered the primary outcome of this research.
The first step was to add new codes to the existing taxonomy (Appendix A, Table A2), listed below. The essential XBRL coding that can be added to the existing taxonomy is presented below.
Identifying subtotals (margins) in the Income Statement helped to match the Value-Added distributions to the stakeholders. Therefore, detailed specific weighted ESG scores can be further assigned to each IS item leading to better disclosure.
Financial and non-financial stakeholders are expected to be considered in the final ESG outcome, consistently and thoughtfully disclosing ESG matters through a detailed combination (Weighted Average) of multiple scores based on semi-structured data analyses.
The list of all the stakeholders and sub-scores provided in Figure 6 can be considered a general design. All the Financial Stakeholders are usually essential. A zero weight can be eventually assigned if the related capital is missing (i.e., company fully financed by equity, in which no interest expenses are accrued). However, inclusion and exclusion of any non-financial stakeholders can be considered as they might depend on the influence and relevance to the specific company/industry.
A rating-based scale could be prepared after testing a suitable sample to assess risks and companies' responsibility in the medium-long term, to be further refined over time.
The authors identified the need for a structured, regulated, and quantitative ESGbased statement in the form of a Value-Added Income Statement.
Income Statement re-stated in a Value-Added perspective has already been considered and successfully presented by relevant literature in the past to serve CSR purposes. The VAIS is further developed and matched with weighted ESG scores consistently assigned to financial and non-financial stakeholders according to their relevance in the proposed model.
Two additional items in the XBRL (IFRS-based) structure are suggested, leading to the introduction of one fully structured statement, "{330000}-Statement of comprehensive income, profit or loss, by Added Value, ESG based" and a semi-structured "{814000}-Notes-ESG Ratings and Reporting", to better discuss and disclose the assumptions and results of the ESG Statement.
According to the authors, given its complexity, the development, weighting choice, and preparation of ESG-based-VAIS should be delegated to independent external entities (such as Sustainalytics or MSCI), as in the case of the credit-risk rating agencies. These entities should be accredited by the EU commission, demonstrate independence, and ensure high-quality shared standards.
Although this is an expensive option that will charge an additional economic burden to the companies, it can be considered the best alternative to ensure transparency and avoid green-washing practices.
Combining mandatory ESG reporting and XBRL can be considered the natural and necessary subsequent step to ensure and enforce fair and comparable CSR disclosure. Therefore, this research addresses three complementary research questions and follows a modelling methodology to track the path for future shifts in the regulatory framework.
The model proposed in Figure 6 ensures compliance to different challenging needs as it is, at the same time: -Flexible enough, in the weighting attribution; -Structured to ensure comparability and consistency; -XBRL-based to enforce its preparation according to an international standard; -Scoring-oriented to provide a systematic uniform result.
Compared to the previous literature [22,23] that suggested combining existing integrated sustainability reporting, this research presents a feasible model to integrate and fit the ESG disclosure into a weighted, rating-oriented Income Statement. Empirical analyses using the proposed module will be separately demonstrated in future research (under development and almost completed).

Limitations
This research is limited to a general modelling design of a feasible and valuable application of the currently available technologies and practices. Model testing is expected to be performed soon. The successful implementation of the model mainly depends on the impact it will generate on the policy makers.