This disclosure asks an organisation to explain what it is doing, and what it is putting in place, to address the material impacts, risks and opportunities linked to its own workforce. In practice, that means describing the main actions underway, the resources assigned to them, and how these measures are intended to improve outcomes for workers over time. The focus is not just on intentions or policies, but on the concrete steps being taken and the support behind them.
The practical emphasis is on whether the response is broad enough to cover the parts of the business where the workforce is affected, rather than being limited to a few visible or flagship sites. An organisation should be able to show how actions are prioritised, where they apply, and whether the resources are sufficient to deliver them across relevant operations, functions or locations. The aim is to give a clear picture of implementation, not just commitment.
This LRA educational guidance supports disclosure preparation. For the exact requirements, always refer to the official EFRAG source.
A quick mental checklist before you prepare this disclosure — tick each as you settle it.
Key datapoints to prepare
How to prepare it
Request the community actions and tracking evidence
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own terms first, then map them to the disclosure items. For example, if you talk about neighbourhood engagement, site liaison, social investment, grievance handling or local impact tracking, use those labels in the request and only translate them afterwards for reporting. This is a possible LRA training template; adapt it to your organisation and check the source material before sign-off.
Please provide the ESRS S3:S3-3 actions and resources data, including all actions implemented, prevention and mitigation measures, community programmes, impact types, actions taken, trade-offs, KPIs, outcome indicators, monitoring frequency, and incidents.
Why it fails: It uses framework language that many operational teams will not recognise, so the owner may not know which records to pull. It also does not say which sites, systems, time period or internal labels to use, so the response is likely to be incomplete or inconsistent.
Please send the community engagement, local impact and incident-tracking records for [period] across [sites/boundary]. Include the actions already in place, any reduction measures, local programmes, the impact categories you use, the follow-up actions, any balancing decisions, the measures you track, how often you review them, and any land/community-rights/protest incidents. Use your own team labels and add the source system and file reference.
Notes that turn data into a disclosure
LRA training templates — adapt them to your organisation, and check the official source before sign-off.
Explain which definitions were used for each topic, how the figures were compiled from the underlying records, and what basis was used to classify actions, impacts, indicators, incidents and severity.
Set out what the numbers show about the organisation’s management of community-related impacts, including the scale of actions taken, the kinds of outcomes tracked, and the nature of any incidents recorded.
If the figures moved materially, describe the operational or community factors behind the change, noting whether it reflects more activity, different impact types, altered monitoring, or a change in incident severity.
Preparation tools & forms
Professional preparation tools for S3-3 — free with an LRA Community membership. Register once (it's free) and every download unlocks, together with the Disclosure Library, templates and the LRA AI-assistant.
For each claim, check the evidence
Evidence pack to prepare
Common reporting gaps
Mistakes to avoid when collecting the data
Where judgement is often needed
Illustrative examples
Synthetic, written by LRA — not from a company report, not text from any standard.
We are providing this as a synthetic example only. During the year, we put in place land-use controls, supplier checks, and local engagement measures to reduce pressure on nearby communities, and we also ran community support programmes covering water access and grievance handling. - The main issue was a change in land access linked to a new site expansion; we paused one parcel, redesigned access routes, and offered compensation and livelihood support where needed. - We tracked the work through monthly site reviews and quarterly community reporting, using indicators such as hectares affected, households reached, complaints closed, and restoration progress; the latest review showed 18 hectares affected, 12 hectares restored, 240 households engaged, and 36 complaints received, of which 33 were closed. - We recorded 4 incidents in total: 2 related to land access, 1 involving community rights concerns, and 1 protest at a site gate; all were assessed as medium severity, with no fatalities or permanent displacement.
Synthetic illustration for practitioner learning only; not legal or compliance advice.
This is a synthetic example for illustration only. We implemented mitigation steps for a transmission corridor by narrowing the footprint, adjusting tower locations, and strengthening consultation with nearby residents and land users, while also funding local skills and access programmes. - The issue involved land take and temporary access restrictions; we chose a slightly longer route to avoid sensitive areas, accepted higher build costs, and kept a record of the trade-off between land protection and project economics. - Our indicators were reviewed every two months and included land disturbed, compensation paid, meetings held, and restoration completion; at the latest check, 9 hectares were disturbed, 7 hectares were restored, 14 meetings were held, and 95% of agreed compensation had been paid. - We logged 3 incidents: 1 land access dispute, 1 complaint about community consultation, and 1 peaceful protest; each was rated low severity, and all were resolved without escalation.
Synthetic illustration for practitioner learning only; not legal or compliance advice.
How companies report S3-3 in practice
Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

Scenarios to work through
A farming supplier has started a grievance hotline, a land-access mediation process, and a community skills fund after complaints from nearby residents. The draft note also mentions a new road project, but it is not clear whether that is part of the response or just a separate capital plan.
A site team has introduced extra site checks, revised contractor rules, and a local dialogue forum after tensions with an indigenous community over access to customary land. Management wants to say the actions were taken, but not mention that the new rules slowed operations and increased transport costs.
A preparer has data showing that a community training programme reached 120 people this quarter, while a land-restoration project covered 45 hectares. The team also tracks complaint resolution time and attendance at stakeholder meetings, but no one has agreed how often these figures are reviewed.
A company has recorded two separate incidents this year: one protest at a project gate and one complaint about restricted access to grazing land. The draft says both were “minor issues” because no one was injured, but the community says the access restriction affected livelihoods for several weeks.
Related framework references
How this disclosure maps across the major reporting frameworks.
Questions this page answers
Use the page’s plain-language explainer, then work through the step-by-step preparation section to gather the listed datapoints, build the evidence pack and shape a draft. The page is designed to help you turn source material into a disclosure-ready narrative rather than to act as an official standard.
The page says to prepare actions carried out, prevention and mitigation, community programmes, impact category, response actions, business trade-offs, performance measures, outcome measures, review cadence, incident count, incident type and incident seriousness. Use that list as your collection checklist before drafting.
The page does not give a formal methodology, but it does give a step-by-step preparation flow and a set of datapoints to organise your scope around. In practice, use those items to define what you are covering, what evidence you need and how often the information is reviewed.
The page is written for sustainability/ESG managers, HR or data owners and assurance reviewers, so ownership should sit with the people who can source the underlying data and sign off the evidence. Use the workbook and evidence pack to make responsibilities clear before drafting.
The page says there are six assurance claims to verify, each with a claim, risk and evidence prompt. Use that section to check the draft against the supporting documents before it goes to review.
The page includes an evidence pack with five items to support assurance readiness. Build it alongside the draft so the underlying records are easy to trace, check and hand over to reviewers.
The page lists common reporting gaps and mistakes to help you spot weak or incomplete drafting. Use that section as a pre-submission check so the narrative, data and evidence line up.
The Download Centre includes a Prep & Assurance workbook in .xlsx format. Use it to organise the preparation steps, track the required datapoints and assemble the assurance evidence before turning it into a draft.
The Download Centre also includes a printable Library Card in .pdf format. It is there as a quick reference while you prepare the disclosure, check the evidence pack and review the draft output.
The page includes synthetic illustrative example disclosures, including a quantitative table where relevant. Use them as a drafting aid to see how the information can be presented, but treat them as examples only.
The page has a draft-output section with visualisation ideas, narrative starters and a content-index line. Use those prompts to convert your collected data into a structured draft that is easier to review and assurance-check.
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