GHG Protocol · ESRS E1 · Not-for-Profit

Scope 3 Emissions Estimator
for Not-for-Profit

Estimate Scope 3 emissions for not-for-profit organisations. Purchased goods and services, business travel, and employee commuting typically dominate the NFP Scope 3 profile, though grant-funded activities may also be material.

GHG PROTOCOL · LIVEv2026.04ESRS E1 · IFRS S2

Scope 3 emissions, documented.
Not just estimated.

Session
0xB5E5
Sector
All
Categories
0 / 15
scope3.conf
categories.csv
README.md
01// engagement— GHG Protocol Ch. 3
02entity_name=
03reporting_period=
04currency=
05sector=
08// scope_3_categories— GHG Protocol Table 5.1
09selected=none
★ = typically material for All sectors (median). Missed: cat. 1, 2, 4, 6, 7.
27// materiality_and_exclusions— GHG Ch.6 · ESRS 1.133
Relevance tests performed for each Scope 3 category (GHG Ch.6):
28
29
30
31
32
33
35exclusion.rationale=
Materiality + exclusions (GHG Ch.6 + ESRS 1.133)
38// data_quality_and_sources— GHG Ch.7 · data hierarchy
Data-quality hierarchy applied:
39
40
41
42
43
44
45data_sources.narrative=
Data quality + sources (GHG Ch.7)
48// intensity_metrics— GHG Ch.9 · ESRS E1-5
49revenue_millions_eur=MEUR
50num_employees=FTE
51prior_year_scope3=tCO2e
52scope1_total=tCO2e
53scope2_total=tCO2e
Intensity metrics (GHG Ch.9 / ESRS E1-5)
56// sector_benchmark— CDP 2023 median · tCO2e/M€
Enter revenue (above) to compare against the All sectors (median) sector median (120 tCO2e/M€).
Sector benchmark · CDP 2023 median
60// sensitivity— ±25% total emissions
Enter activity data to see sensitivity analysis.
Sensitivity · ±25% scenarios
65// risk_warnings— ISSA 5000 / ISAE 3410 · rule engine
Enter activity data to run risk analysis.
Risk warnings · rule engine (ISSA 5000)
70// disclosure_and_conclusion— IFRS S2.29 · ESRS E1-6
Tick disclosure items addressed in FS / sustainability report:
71IFRS S2.29(a)(iii) · ESRS E1-6
72ESRS E1-6(58)
73IFRS S2.29(a)(iv) · ESRS E1-6(62)
74ESRS E1-6(63)
75GHG Protocol Ch.6 · ESRS E1-6(57)
76ESRS E1.45
77ESRS E1-6(54)
78ESRS 1.89
79ESRS E1-4
80ESRS E1-1
81ESRS 1.81
82ESRS 1.133
84prepared_by=
85reviewed_by=
99conclusion.narrative=
Disclosure + conclusion · IFRS S2.29 + ESRS E1-6
awaiting input·0 categories · 2 fieldsEUR·ESRS E1 · IFRS S2
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Scope 3 emissions estimation for Not-for-Profit

Not-for-profit (NFP) entities are not exempt from emissions reporting obligations. Large NFPs that meet CSRD thresholds (250 or more employees, EUR 50 million or more in net turnover, EUR 25 million or more in total assets, meeting two of three criteria) fall within the directive's scope. In the UK, the Streamlined Energy and Carbon Reporting (SECR) framework applies to large unquoted companies and LLPs, and some large charities structured as companies must comply. Even where regulatory disclosure is not mandatory, funders and institutional donors increasingly require carbon footprint reporting as a condition of grant funding. The Charities SORP does not address emissions disclosure, but the Charity Commission's CC14 guidance on investment matters references climate risk, and NFP boards are under growing pressure from stakeholders to measure and report their environmental impact.

The typical NFP Scope 3 profile is concentrated in four categories. Category 1 (purchased goods and services) covers everything from IT equipment and office supplies to programme-specific procurement such as medical supplies for health charities, educational materials for education charities, or food for feeding programmes. For international development NFPs, the procurement of goods shipped to programme countries can be substantial. Category 6 (business travel) is often disproportionately large relative to revenue because field-based organisations send staff to remote locations, frequently by air. A medium-sized international development charity with 500 staff can generate 2,000 to 4,000 tonnes CO2e annually from business travel alone. Category 7 (employee commuting) and Category 5 (waste from operations) complete the material categories for most office-based NFPs. Grant-making organisations face an additional question: should the emissions from activities funded by their grants be reported? The GHG Protocol does not include a specific category for grant-funded activities, but Category 15 (investments) may apply if grants are treated analogously to equity investments in terms of emissions attribution.

Assurance and funder reviews of NFP emissions data reveal consistent gaps. Travel data is often fragmented across multiple booking channels, personal expense claims, and in-country arrangements that are not captured in central systems. Procurement data is recorded in financial systems by cost code rather than by product type, making it difficult to apply anything more granular than broad spend-based emission factors. NFPs that occupy shared office space or co-working facilities struggle to determine their share of building energy and waste emissions. For international NFPs, programme-country emissions (from vehicles, generators, and local procurement) may be recorded in local currency and local accounting systems that do not integrate with head office reporting. These data gaps do not excuse non-reporting, but they should be documented transparently, with a plan for improving data collection over subsequent reporting periods.

For NFPs using this estimator, start with your financial accounts. Map expenditure lines to GHG Protocol categories: programme costs and support costs in Category 1, travel costs in Category 6, staff-related costs for Category 7. Apply DEFRA spend-based emission factors by expenditure category as a baseline. For business travel, extract flight data from your travel management company or expense system and calculate using DEFRA air travel emission factors by cabin class and distance band (short-haul, long-haul). For employee commuting, if survey data is not available, use UK Department for Transport National Travel Survey averages (or the equivalent national source) adjusted for your office locations. Where your NFP makes grants, consider whether the funded activities generate emissions material enough to warrant inclusion. Document the screening decision either way.

Frequently asked questions: Not-for-Profit

Does CSRD apply to not-for-profit entities?
CSRD applies to entities that meet the size thresholds regardless of profit motive, but the application depends on legal form and member state transposition. In most EU jurisdictions, CSRD applies to large undertakings as defined by the Accounting Directive. Charities constituted as companies or foundations that meet the thresholds are within scope. In the UK, SECR applies to large companies including charitable companies. NFPs should check their legal form and jurisdiction-specific thresholds.
Should a grant-making foundation include emissions from funded projects in Scope 3?
The GHG Protocol does not specifically address grant-funded activities, but Category 15 (investments) provides the closest analogy. If your foundation funds activities that generate material emissions (for example, construction projects or transport programmes), consider including them using an attribution approach similar to PCAF's methodology for investments. If you choose to exclude them, document the screening rationale and disclose the exclusion. Some foundations report grant-funded emissions in a separate memorandum category.
How should an international NFP handle emissions from programme countries?
Collect activity data (fuel purchased for generators and vehicles, distances travelled, goods procured locally) from each country programme. Apply emission factors appropriate to the country context. Grid emission factors vary dramatically by country (South Africa's grid at approximately 0.9 kg CO2e per kWh versus France at approximately 0.06 kg CO2e per kWh). IEA country-specific grid emission factors are updated annually. For road transport, use national fleet average emission factors where available, or DEFRA factors for vehicle type as a proxy. Consolidate in a single reporting currency and factor set, documenting any conversion assumptions.

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