The SEC’s ESG Risk Alert and the CFTC’s New Climate Risk Unit
On April 9, 2021, the SEC's Division of Examinations (the "Division") published its first risk alert detailing deficient and effective practices among investment advisers and registered and private funds ("Firms") offering ESG strategies. The SEC is not alone in its focus on ESG matters as the CFTC and its Climate Risk Unit ("CRU") continue to assess the risks to U.S. financial stability posed by climate change.
The SEC Risk Alert
Based on Firm exams that began in 2019, the risk alert notes the "rapid growth in demand" for ESG services and products, the lack of "standardized" ESG definitions and terms and the wide variety of approaches to ESG investing that "can create confusion," particularly for retail investors. Generally, the guidance in the risk alert relates to the adequacy of compliance controls around ESG-related disclosures, marketing materials, and investment and proxy voting practices. Exam Focus Areas In its completed ESG-focused exams, and in those it will continue to conduct in keeping with its 2021 priorities, the Division's focus is on Firms' ESG-related:- Portfolio management policies, procedures and practices, including terminology, investment due diligence and proxy voting.
- Performance marketing, including in regulatory filing disclosures, Firm websites, representations to global ESG framework sponsors, and client-facing materials.
- Compliance policies and procedures and whether they are adequate and effectively implemented and overseen.
The CRU
The new cross-division Climate Risk Unit at the CFTC will focus on "the role of derivatives in understanding, pricing, and addressing climate-related risk and transitioning to a low-carbon economy." The March 2021 announcement of the CRU follows the September 2020 report of the Climate-Related Market Risk Subcommittee of the CFTC's Market Risk Advisory Committee. That report includes over 50 recommendations to mitigate the impact of climate risk on the financial markets. The CRU will tackle many of the report's recommendations, with an agenda that echoes the SEC's articulated ESG agenda and includes, among other potential action items:- building "consistent standards, taxonomies, disclosures, and practices across derivatives products and markets;"
- developing and enforcing standards and policies; and
- accelerating "engagement in support of industry-led and market-driven processes in the climate—and the larger ESG—space critical to ensuring that new products and markets fairly facilitate hedging, price discovery, market transparency, and capital allocation."
Conclusion
These developments at the SEC and the CFTC preceded President Biden's pledge to halve U.S. carbon emissions by 2030. His announcement of the greenhouse gas reduction plan at the April 22-23, 2021 virtual global climate summit no doubt stokes the fire under the feet of the SEC and CFTC staffs. We'll keep you up to date as they keep moving.Print and share
Explore more in
Asset Management ADVocate
The Asset Management ADVocate provides unique analysis and insight into legal developments affecting asset managers in the United States.