PSA_GROUP_REGISTRATION_DOCUMENT_2017

DECLARATION ON EXTRA-FINANCIAL PERFORMANCE Reporting Scope, Methodology and cross-reference Tables

THE EXCLUSIONS FROM THE CSR REPORTING VERSUS THE FINANCIAL REPORTING The scope of reporting does not include joint ventures with other car manufacturers accounted for using the equity method, due to the lack of exclusive control: TPCA (Toyota Peugeot Citroën Automobile), located at Kolín in „ the Czech Republic, in a joint venture with Toyota; DPCA (Dongfeng Peugeot-Citroën Automobile), at Wuhan in „ China, in a joint venture with Dongfeng Motor Corp.; CAPSA (Changan PSA Automobiles), at Shenzhen in China, in a „ joint venture with China Changan Automobiles; Sevelsud, at Val Di Sangro in Italy, in a joint venture with Fiat; „ IKAP (Iran Khodro Automobiles Peugeot), at Tehran in Iran, in a „ joint venture with Iran Khodro; SCCO (SAIPA Citroën Automobiles Company), at Kashan, in a „ joint venture with Saipa Kashan; Uzbekistan Peugeot Citroën Automotive, at Jizzakh, in a joint „ venture with SC Uzavtosanoat;

In these joint ventures, the Group exercises its role as shareholder and industrial partner in a commitment to supporting each venture’s long-term development. The joint ventures report their CSR data at different levels, depending on the management structure in place with the industrial partner. In 2007, at the Group’s initiative and with the agreement of co-shareholder Dongfeng Motor Corp., DPCA published its first Sustainable Development Report – the first such report ever prepared by a car manufacturer in China. Other items, including examples of actions undertaken, are described in greater detail in the CSR publications for each of the entities. The Group’s CSR Report and Faurecia’s Registration Document notably describe the policy, commitments and results of the automotive, banking and equipment supply divisions. The Opel and Vauxhall companies are also not included in this 2017 Registration Document, for the reasons explained in Section 2.1.

Reporting methodology 2.7.2.

The reporting standards are presented in Section 8.4 of the Group’s 2017 CSR Report.

Cross-reference table with regulatory requirements 2.7.3.

an icon DPEF.A (1) for the presentation of the Groupe PSA „ business model; an icon DPEF.B (1) for the description of the main risks linked „ Groupe PSA’s business in terms of social and environmental responsibility; icons DPEF.X (1) for the other indicators. „

The cross-reference table below presents the items required by the Grenelle 2 legislation, which is still applicable to the 2017 financial year, and those required by Articles L. 225-102-1 and R. 225-105 et seq. of the French Commercial Code having transposed Directive 2014/95/EU, which is applicable as of financial year 2018 but which Groupe PSA has voluntarily chosen to apply early. The items required by Articles L. 225-102-1 and R. 225-105 et seq. of the French Commercial Code are identified in the present report by:

Previous coding of the Grenelle 2 indicators

Coding of DPEF indicators DPEF.A DPEF.B

2017 Registration Document (relevant sections)

Degree of response*

Expected

Company business model

- -

2.1.1. 2.1.1.

Main CSR risks linked to the company’s business

1° SOCIAL INFORMATION a) Employment Total workforce

DPEF.1.a DPEF.1.b DPEF.1.c DPEF.1.d DPEF.2.a DPEF.2.b

G.1.a G.1.b G.1.c G.1.d G.2.a G.2.b

2.4.2 2.4.2 2.4.2 2.4.2

Employees by gender Employees by age Employees by region

Hirings

2.4.2.1 2.4.2.2 2.4.3.5

Dismissals

Compensation and changes therein

DPEF.3

G.3

b) Work arrangements

2.4.2.3 / 2.4.4 / 2.4.4.1 / 2.4.4.2

Organisation of working hours

DPEF.4 DPEF.5

G.4 G.5

Absenteeism

2.4.2.3

Déclaration de Performance Extra Financière (DPEF). (1)

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GROUPE PSA - 2017 REGISTRATION DOCUMENT

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