Sustainable finance is the set of practices, standards, norms, regulations and products that pursue financial returns alongside environmental and/or social objectives. It is sometimes used interchangeably with Environmental, Social & Governance (ESG) investing. However, many distinguish between ESG integration for better risk-adjusted returns and a broader field of sustainable finance that also includes impact investing, social finance and ethical investing.[1]

A key idea is that sustainable finance allows the financial system to connect with the economy and its populations by financing its agents in seeking a growth objective. The long-standing concept was promoted with the adoption of the Paris Climate Agreement, which stipulates that parties must make "finance flows consistent with a pathway towards low greenhouse gas emissions and climate-resilient development."[2] In addition, sustainable finance has a key role to play in the European Green Deal and in other EU International agreements, and its popularity continues to grow in financial markets.[3]

In 2015, the United Nations adopted the 2030 Agenda to steer the transition towards a sustainable and inclusive economy. This commitment involves 193 member states and comprises 17 goals and 169 targets. The SDGs aim to tackle current global challenges, including protecting the planet. Sustainable finance has become a key cornerstone for the achievement of these goals.[4]

Various government programs and incentives support green and sustainable initiatives. For instance, the U.S. Environmental Protection Agency (EPA) provides grants and low-interest loans through its Clean Water State Revolving Fund for projects that improve water quality or address water infrastructure needs. The Small Business Administration (SBA) also offers loans and grants for green businesses. Research and utilize these programs to secure necessary financing.[5]

Terminology

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The terminology is essential to understand the different concepts around sustainable finance and the differences. The United Nations Environment Programme (UNEP) defines three concepts that are different but often used as synonyms, namely: climate, green and sustainable finance. First, climate finance is a subset of environmental finance, it mainly refers to funds which are addressing climate change adaptation and mitigation.[6] Then, green finance has a broader scope because it also covers other environmental issues such as biodiversity protection. Lastly, sustainable finance includes Environmental, Social and Corporate Governance (ESG) factors in its scope. Sustainable finance extends its domain to the three components of ESG; it is therefore the broadest term, covering all financing activities that contribute to sustainable development.[7]

International initiative

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By signing the Paris Agreement, more than 190 countries have committed to fighting climate change and reducing environmental degradation. To reach the target of a maximum temperature increase of 2 °C, we need billions of green investments each year in key sectors of the global economy. Public finance will continue to play a key role, but a significant share of the funding will have to come from the private sector. Because financial markets are global, they offer a great opportunity, but this potential is largely untapped. Indeed, to mobilize international investors, it is necessary to promote integrated markets for environmentally sustainable finance at the global level.The UNFCCC and Paris Agreement's collective goal of mobilizing USD 100 billion per year by 2020 in the context of meaningful mitigation action and transparency on implementation fell short in 2018.[8] Therefore, this requires a high degree of coherence between the different capital market frameworks and tools that are essential for investors to identify and seize green investment opportunities. This means working together to ensure the potential of financial markets, and it is in this context that the International Platform on Sustainable Finance has been created.[9]

International Platform on Sustainable Finance (IPSF)

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The International Platform on Sustainable Finance (IPSF) was launched on 18 October 2019 by the European Union. The platform is a multi-stakeholder forum for dialogue between policymakers tasked with developing regulatory measures for sustainable finance to help investors identify and seize sustainable investment opportunities that truly contribute to climate and environmental goals.[9][10]

The founding members of the IPSF are obviously the European Union, but also the competent authorities of Argentina, Canada, Chile, China, India, Kenya and Morocco. However, since its foundation, the Hong Kong Special Administrative Region of the People's Republic of China (HKSAR), Indonesia, Japan, Malaysia, New Zealand, Norway, Senegal, Singapore, Switzerland and the United Kingdom have also joined IPSF. Together, the 18 IPSF members represent 50% of the world's greenhouse gas emissions, 50% of the world's population and 45% of the world's GDP.[9]

Sustainable finance and China

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Catalyst of sustainable finance in China

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Green Bond Market in China

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A pivotal moment in China's sustainable finance journey was the emergence of green bonds. In 2015, the People's Bank of China and the National Development and Reform Commission issued guidelines for green bond issuance.[11][12] These guidelines established the framework for certifying and regulating green bonds, ushering in a new era of green investment in the country. The guidelines looked to help classify projects and set eligibility criteria within six environmental sectors.[13] By the end of 2022 China had a cumulative labelled green bond volume of USD489bn (RMB 3.3tn).[13] In June 2020, the People's Bank of China (PBoC), China's central bank, China Securities and Regulatory Commission (CSRC), and National Development and Reform Commission released a Green Bond Endorsed Project Catalogue draft which looked to build an overarching guideline for green bonds in China.[14][12] China has since become the world's largest issuer of green bonds, with both domestic and international issuers seeking to fund environmentally friendly projects. Notable examples of issuers include the Industrial and Commercial Bank of China (ICBC), which among the 40 green Kung Fu bond issuers ranked the largest with at about 6.75bn USD.[15]

Promotion of green finance policies in China

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China's commitment to sustainable finance is reinforced by its strategic policy decisions. In 2016, the People's Bank of China launched a green finance pilot program in five provinces, followed by the Green Credit Issuance Guidelines, encouraging financial institutions to support green projects and integrate ESG criteria into their lending practices.[16] In June 2022, China's National Development and Reform Commission released its 14th 5 year plan on renewable energy development (2021-2025), to accelerate renewable energy expansion.[17] The plan looks to increase renewable energy generation by 50% and looks for a target of 3.3 trillion kWh as compared to 2020's 2.2 trillion kWh and hopes to reduce emissions by 2.6 gigatons annually.[17] China's National Energy Administration has also furthered this goal by introducing policies supporting renewable energy development, facilitating investments in wind, solar, and hydroelectric power.[18]

China's National Energy Administration is committed to supporting renewable energy development through a variety of policies, including feed-in tariffs, renewable portfolio standards, investment subsidies, and grid access.[18] These policies have helped to make China the world leader in renewable energy development, and are attracting significant investment in renewable energy projects. The China Development Bank issued green bonds worth 10 billion yuan to improve the environmental protection efforts of the Yellow River and advance social development of regions.[19] These efforts reflect China's aim to align its financial system with green development goals and transition toward a low-carbon economy.

Sustainable finance in Hong Kong

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Hong Kong’s financial secretary, Paul Chan, delivered the 2023-24 budget on 22 February 2023 with the promotion of a green economy, sustainable development and China’s “3060 Dual Carbon Targets” at the forefront.[20]

Sustainable finance and The European Union

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European Green Deal

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The European Green Deal is a proposal by the European Commission, approved in 2020, to put in place a series of policies to make Europe climate neutral by 2050 and to cut at least half of its CO2 emissions by 2030.[21] Within it, the Commission has promised to raise no less than €1 trillion in order to achieve the objectives of the European Green Deal by making sustainable investments. Part of this money has been raised to finance the Next Generation EU. Sustainable finance is therefore one of the pillars on which the EU Green Deal focuses and in addition to its own investments.[22]

A major milestone in the EU's agenda for sustainable finance was the adoption of the EU taxonomy regulation.

Next Generation EU

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More recently, the European Commission, on behalf of its 27 member states, is also making greater use of green finance, especially green bond (see green bonds section) to finance part of NextGenerationEU.[23] The aim of this initiative is to relaunch the economy following COVID-19 pandemic and aims to improve the European Union on several levels including; making it greener, accelerating its digitalisation, improving the health system and preparing it for future challenges or supporting young people and making Europe more inclusive.[24] The main project under this initiative is the Recovery and Resilience Facility (RRF) which provides grants and loan funding to EU member states to support reform and investment. In order to access these funds, each EU Member State must propose a plan which must be approved by the European Commission and then by the Council. One of the most important criteria of this plan is that at least 37% is dedicated to the green aspect and 20% to digitalisation. Disbursement is gradual, with 13% received after the contract is signed, and the remainder on the basis of a bi-annual evaluation based on a report submitted and a payment request.[25]

Tools and standards

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Green bonds

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Green bonds are loans issued in the market by a public or private organization to finance environmentally friendly activities. Their issuance is growing steadily with an average growth of over 50% per year over the last five years. They reached $170 billion in 2018 and $523 billion in 2021.[26][27] The aim of this type of bond (finance) is to encourage the financing of green projects by attracting investors and therefore reducing the cost of borrowing. According to empirical studies, the high demand for this type of bond provides it with a lower yield than its standard equivalent.[28] Scientists recommend including this climate factor in the risk assessment of bonds. The aim is, on the one hand, to increase the borrowing cost of brown bonds which can fund carbon-intensive projects and de-incentivise their investment by increasing the weight of climate risk. On the other hand, the goal is to reduce the weight of risk of green bonds in order to stimulate investment and potentially encourage banks to reduce the interest rate of these bonds.[28]

From a legal point of view, green bonds are not really different from traditional bonds. The promises made to investors are not always included in the contract, and not often in a binding way. Issuers of green bonds usually follow standards and principles set by private-led organisations such as the International Capital Market Association (ICMA)'s Green Bond Principles[29] or the label of the Climate bond initiative.[26] The Paris agreement on climate change highlighted a desire to standardize reporting practices related to green bonds, in order to avoid greenwashing. To date, there are no regulations requiring the borrower to specify its "green" intentions in writing, however, the EU is currently developing a green bond standard which will force issuers to fund activities aligned with the EU taxonomy for sustainable activities.[30] This standard is expected to be a voluntary standard, operating alongside other voluntary standards, with academics and practitioners raising the policymakers' awareness to the dangers of imposing it as a mandatory standard.[31][32]

The European Union has already created its own "Next Generation EU Green bonds framework" to use green bonds to raise part of the funds for the Next Generation EU project. This project promises an investment of 750 billion euros in grants and loans (at 2018 prices), by the European Commission, aiming to revive the post-covid-19 economy in the 27 EU member states. Up to 30% of the budget will be raised by issuing green bonds, which results in up to 250 million, and a total of 14.5 million had already been raised by January 2022. This will make the European Commission the largest issuer of green bonds.[28] On 21 December 2024, the European Union Green Bonds Regulation comes into force, allowing the issue of "European Green Bond" (or "EuGB") by companies, regional or local authorities and EEA supra-nationals.[33]

Empirical studies show that the risk of greenwashing is present and may wrongly induce investors to accept lower rates of return than for brown investments.[34] The standardization of this taxonomy would reduce the criticism of greenwashing that can be attributed to this type of obligation and enhance clarity and transparency in their use.[27] Rating agencies should focus more on this type of risk in order to identify and quantify it better.[34]

Taxonomy of sustainable activities

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Because energy transition is a broad concept and sustainability or green can apply to many projects (renewable energy, energy efficiency, waste management, water management, public transportation, reforestation...), several taxonomies are being established to evaluate and certify "green" investments (having no or very little impact on the environment).

In 2018, the European Commission created a working group of technical experts on sustainable finance (TEG: Technical Expert Group) to define a classification of economic activities (the "taxonomy"), in order to have a robust methodology defining whether an activity or company is sustainable or not. The aim of the taxonomy is to prevent greenwashing and to help investors make greener choices.[35] Investments are judged by six objectives: climate change mitigation, climate change adaptation, the circular economy, pollution, effect on water, and biodiversity.[36]

The taxonomy came into force in July 2020.[35] The taxonomy is seen as the most comprehensive and sophisticated initiative of its type; it may inspire other countries to develop their own taxonomies or may indeed become the world's 'gold standard. However, when the disclosure regime comes into effect in January 2022 there will still be huge gaps in data and it may be several years before it becomes effective.

The classifications of fossil gas and nuclear energy are controversial.[37] The European Commission asked its Joint Research Centre to assess the environmental sustainability of nuclear. The results will be investigated for three months by two expert groups before the commission makes a decision on the classification.[36] Natural gas is seen by some countries as the bridge between coal and renewable energy, and those countries argue for natural gas to be considered sustainable under a set of conditions.[38] In response, various members of the expert group that advises the European Commission threatened to step down. They stated they see the inclusion of gas as a contradiction to climate science, as methane emissions from the natural gas form are a significant greenhouse gas.[37][39]

The UK is working on its own separate taxonomy.[40]

Green-supporting factor on capital requirements

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To encourage banks to increase green lending, commercial banks[41] have been proposing to introduce a "Green-supporting factor" on banks' capital requirements. This proposal is currently being considered by the European Commission and the European Banking Authority.[42] However this approach is generally being opposed by central bankers[43] and nonprofits organisations, which propose instead the adoption of higher capital requirements for assets linked with fossil fuels ("Brown-penalizing factor").[44]

Mandatory and voluntary disclosure

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In addition, another tool and some standards lie in reporting and transparency. In 2015, the Financial Stability Board (FSB) launched the Taskforce on Climate-related Financial Disclosures (TCFD) which is led by Michael Bloomberg. The TCFD's recommendations aim to encourage companies to better disclose the climate-related risks in their business, as well as their internal governance enabling the management of these risks. In the United Kingdom, the governor of the Bank of England, Mark Carney, has actively supported the TCFD's recommendations and has called on several occasions for the implementation of obligations for companies in the financial sector to be transparent and to take into account financial risks in their management, notably through climate stress tests.

In France, the 2015 Energy Transition Law requires institutional investors to be transparent about their integration of Environmental, Social and Governance Criteria into their investment strategy.[45]

Nevertheless, empirical research has shown the limited effect of disclosure policies if they remain voluntary.[46][47]

In addition, in October 2022, the Corporate Sustainability Reporting Directive was adopted. This new reporting rule will apply to all large firms, whether listed on stock markets or not. Therefore, around 50,000 companies will be covered by new rules, compared to about 11,700 with the former set of rules. More precisely, the impact of an organization on the environment, human rights and social standards will be introduced in this CSRD. Indeed, this reporting directive asks for more detailed reporting requirements thanks to common criteria, in line with the EU’s climate goals. The commission will adopt the first set of standards by June 2023 after that, the aim of the commission is to enlarge more and more companies to this set of standards. Indeed, from 1 January 2026, the rules will apply to listed SMEs and other undertakings, with reports due in 2027. However, SMEs can opt out until 2028. Thanks to this new set of rules, the EU has become a front-runner in global sustainability reporting standards.[48]

Green monetary policy

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Policymakers, through their green monetary policies, help speed up the adoption of sustainable finance by supporting the development of investment instruments and fund structures tailored specifically to sustainable finance, creating incentives for investors, and establishing a regulatory agenda to standardize ESG measures of performance.[49]

Green Central Banking

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The term "Green Central Banking" refers to the critical role that central banks must play in achieving zero-net-emissions targets and mitigating climate change. By adjusting their monetary policies into “green monetary policy” and capital requirements, central banks can redirect investment into green financing.[49]

Network for Greening the Financial System (NGFS)

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In 2018, under the leadership of Mark Carney, Frank Elderson, and Banque de France Governor Villeroy de Galhau, eight central banks created the Network for Greening the Financial System (NGFS), a network of central banks and financial supervisors wanting to explore the potential role of central banks to accompany the energy transition. This network has nearly 116 central banks and supervisors and 19 observers including the International Monetary Fund (IMF) and the European Central Bank (ECB). Priorities for the NGFS include sharing best practices, advancing climate and environmental risk management in the financial sector, and mobilizing mainstream finance.[50]

Several policy options for greening monetary policy instruments have been explored by the NGFS:[51]

  • Green refinancing operations: central banks can adopt green conditions when banks refinance themselves from central banks, for example by granting a lower interest rate if banks issue a certain volume of loans for green projects.
  • Green collateral frameworks: central banks can restrict collateral eligibility rules by excluding polluting assets, or requiring banks to mobilize a pool of assets that is aligned with net zero trajectories.
  • Green quantitative easing: central banks could restrict their asset purchases programmes to green bonds.

The NGFS, through its working group “Workstream 2”, has published new Scenarios for central banks and supervisors in September 2022 in partnership with an academic consortium. The NGFS Scenarios were developed to assess the impact of climate change on the global economy and financial markets. While developed primarily for use by central banks and supervisors, they may be valuable to the broader business sector, government, and academics as well.[50]

European Central Bank's financial commitment to addressing climate change

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During the United Nations Climate Change Conference (COP 26), in July 2021, under the leadership of Christine Lagarde and after pressure from NGOs, the ECB committed to contributing to the implementation of the Paris Agreement's aim of “making finance flows consistent with a pathway towards low greenhouse gas emissions and climate-resilient development”. (Article 2.1. (c) of the Paris Agreement, 2015) [52] The ECB also announced a detailed roadmap to incorporate climate change in its monetary policy framework.[53] The action plan includes measures to integrate climate-risks metrics in the ECB's collateral framework and corporate sector purchase programme (CSPP) referred to bonds. Christine Lagarde said she was also in favour of developing "green lending facilities"[54] like the Bank of Japan[55] and People's Bank of China.

Action plan of the ECB on climate change

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In accordance with its recent decisions, the ECB commits to contributing to the Paris Agreement goals and NGFS initiatives within its mandate by taking the following specific actions:[52]

  1. Integrating climate-related risks into financial stability monitoring and prudential supervision of bank
  2. Integrating sustainability factors into own portfolio management
  3. Exploring the effects of climate-related risks on the Eurosystem monetary policy framework within our mandate
  4. Bridging data gaps in climate-related data
  5. Working towards higher awareness and intellectual capacity, also through technical assistance and knowledge sharing

Debate

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There are a few concerns and limitations that can be attributed to sustainable finance.

The important number of standards

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First, as already mentioned, the concept of sustainable finance is directly linked with ESG. However, there are still no universally adopted standards for how companies and organisations can measure and report on their sustainability performance. Instead, there are a large number of NGOs working independently to develop standards for sustainability reporting, alongside new regulations in many markets, which has historically created complexity and confusion for companies and investors.[56] Indeed, the initiators of reforms in sustainable finance can be very different. There are initiatives from non-governmental organisations such as Global Reporting Initiative (GRI), IFRS Foundation, the International Integrated Reporting Council (IIRC) and the Carbon Disclosure Project.[57] However, recently, it seems like the IFRS Foundation is taking the lead in global standards for stock exchanges.[56] This is possible because the organisation possess a deep expertise in the standard-setting process, it also has legitimacy in the corporate and investor community, and regulators support it internationally.

Since sustainable finance is rather new and a constantly evolving topic with many different participants with varying needs, frameworks will likely continue to evolve over time. For example, a new framework for sustainable finance, ISO 32210 was published in October 2022. This tool provides guidance to all organisations, active in the financial sector, including, but not limited to, direct lenders and investors, asset managers and service providers, on the implementation of sustainability principles, practices and terminology for financing activities.[58]

Because of this pool of standards and the constant evolution, it is not unusual to find that some funds or companies are not as green as they claim to be. Indeed, some ESG funds still hold shares in oil and coal companies, which might surprise some investors. However, since there are no universally adopted standards, this practice is still ongoing.[59]

Businesses can also leverage the opacity and the diversity of ESG ratings methodologies thus questioning the reliability of ratings,[60] greenwashing threats, and the relaying of inaccurate and piecemeal information to investors through self-reporting.[61][62] This is considered as morally hazardous as depends on self-reported data based on the free will of companies to disclose information more than often unaudited and incomplete.[63]

For instance, according to ESMA’s consultancy, of the 34 respondents disclosing the number of ESG rating agencies they rely on, 77% use more than one provider for ESG ratings, while 23% use only one provider.[64]

If the incentives to greenwash are quite high, it is partly correlated to the fact that rated ESG firms enjoy lower capital and debt costs for doing so.[65] This problem is said to be mainly a question of the company’s maturity on Corporate and Societal Responsibility[66] and where it is situated on the CSR pyramid that distinguishes four distinct levels of responsibilities: economic, legal, ethical, and lastly philanthropic.[67]

Lastly, it is important to mention that much focus has been on the European Union, at an international level, the lack of homogeneity on sustainable finance norms and standards is even larger. However, initiatives such as the International Platform on Sustainable Finance open the discussion and the exchange of best practices to have more international norms and standards.

A legislative spaghetti bowl

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The global regulatory framework evolves in a global context of shift toward sustainable finance regulations. Currently, 29 countries in the world have in significant level of mandatory ESG disclosure regulation.[68] Investors and financiers often favor companies with strong ESG records, which in turn can influence their ability to engage in international trade. Those who do are confronted to the multiplicity and divergence of regulatory frameworks around the world with specific market access prerequisites, disclosure standards, compliance supervision, authorities, etc.

Thus, the ESG market is often referred to as a “mess”,[69] comparable to the “spaghetti bowl” effect regarding the profusion of global trade agreements.[70]  As global supply chains expand, it is harder to find a common guideline on ESG factoring and face the subsequent “red tape” and costs, especially for SMEs.[71][72]

All around the world, the green regulatory framework hardens, complexifies and presents never-ending interdependencies. The greenhouse gas emissions reporting requirements are a probing example of this "spaghetti bowl”. It is said to lead to inefficiencies and a lack of transparency that can only be mitigated through advanced streamlining processes.[72]

Lack of comparability

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In addition, the same actors also face a lack of comparability. Indeed, it is very difficult to compare companies and investments on the basis of their ESG performance. Taking again the example of the oil and gas industry, the reporting on sustainability is carried in varied ways. Indeed, according to a study conducted by researchers at the University of Perugia's Economics Department, out of 51 relevant GRI indicators, only four indicators appear in over 75% of the companies' GRI reports.[57]

Also, a paper finds that only 60% of ESG ratings concord, compared to 99% for credit ratings from the largest rating agencies.[73] The explanation of these discrepancies of methodologies according to the authors is the challenge of aggregating scores on three pillars, mainly the more complex social aspect.[74][75] This phenomenon can be referred to as the ESG ratings gap” in the academic literature and highlights how ratings provided by ESG providers often vary significantly, leading to what is referred to as "aggregate confusion".[75]

Another problem concerning methodologies is that there are no set-in stone and can evolve with time, making comparison attempts null and void. For instance, MSCI has a rating system that is based on a scale of AAA (top of the line) to CCC (bottom of line), accompanied with a report explaining why a company went up or down in its score overtime. It was noted that of 150 companies on MSCI’s repertoire, 50% had a score going up while changing nothing. The ESG rater later explained that they upgraded those companies because they updated their methodologies thus the scores went up. This way, most companies had upgraded for what MSCI calls “corporate behavior and data protection”, while only one company was upgraded for emission reduction. It was argued that MSCI worked in the interest of big S&P 500 corporations to get a higher score of ESG rating to help them lower their cost of capital and attract more investors.[76]

This kind of post hoc adjustments were meticulously observed and linked to the thorny question of data manipulation to make ESG raters look more accurate.[77] The result is that the ESG rating landscape is plagued with incoherence and makes it much harder for end investors to make a profound and thorough investment analysis.[78]

Green Central Banking legitimacy

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Another concern worth debating in sustainable finance is the legitimacy of Green Central Banking.

First, in response to the recent global financial crisis, which started with the outbreak of the pandemic, there has been a strong reliance on central banks to intervene not only for their traditional prudential motives of ensuring price and financial stability but also for more promotional purposes as a means of supporting other policy objectives such as promoting a low-carbon economy (Baer et al. 2021).[79] However, according to many researchers, the pursuit of such promotional goals in monetary policy decisions raises serious questions about the legitimacy of independent central banks (Fontan et al. 2016).[80] By way of illustration, Greenpeace protestors claimed in March 2021 that the European Central Bank's (ECB) monetary policies subsidise fossil fuel companies (Treeck, 2021).[81]

Furthermore, the Central Bank Independence (CBI) framework says that central banks should be permitted to operate independently within a limited mandate (Dietsch et al., 2018),[82] although other writers feel that changing the central bank's mandate is insufficient (Fontan et al. 2022).[83]

Central banks are rarely tasked with advancing environmental or climate change mitigation objectives. When it comes to these environmental policies, central banks must deal with arbitrary issues, and there is no agreement on who should bear the burden. Neither conservative nor progressive central bankers defend this dilemma (Fontan et al. 2022).[83] As a result, according to the previous authors, their pursuit of green monetary policies puts central banks in a tough spot, casting doubt on their legitimacy.

In a nutshell, Baer and co-authors argue that central banks may their legitimacy issues by working in tandem with elected officials. In other words, a thorough examination of the actions of central banks necessitates a close examination of the actions of the governments and parliaments that formulate the central bank's mandate (Elgie 2002).[84] Whether it's through working with a green investment bank to reduce their carbon footprint or forming joint committees of central bankers and members of parliament to influence the types of assets they purchase (Fontan et al. 2022).[83]

See also

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References

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  1. ^ Hardyment, R (2024). Measuring Good Business: Making Sense of Environmental, Social and Governance (ESG) Data. Taylor & Francis. ISBN 9781032601199.
  2. ^ "Paris Agreement" (PDF). United Nations Framework Convention on Climate Change. 2015. Archived (PDF) from the original on 2021-10-19. Retrieved 2021-10-16.
  3. ^ Global Sustainable Investment Alliance (GSIA) (November 2023). "Global Sustainable Investment Review 2022" (PDF). GSIA. Archived (PDF) from the original on 13 May 2024. Retrieved 19 April 2024.
  4. ^ "Overview of sustainable finance". European Commission. Archived from the original on 2020-11-05. Retrieved 2022-05-27.
  5. ^ Vkrs, Patel029 (June 17, 2024). "7 Top Strategies to Secure Green Business Financing in 2024". KeepFinancio. Retrieved June 17, 2024.{{cite web}}: CS1 maint: numeric names: authors list (link)
  6. ^ "United Nations Environment Programme, Definitions and Concepts" (PDF). United Nations Environment Programme. 2016. Archived (PDF) from the original on 2022-10-06. Retrieved 2022-12-11.
  7. ^ "Green and sustainable finance" (PDF). ISO. 2022. Archived (PDF) from the original on 2022-12-11. Retrieved 2022-12-11.
  8. ^ "AR6 Synthesis Report: Climate Change 2023". www.ipcc.ch. Archived from the original on 2023-03-20. Retrieved 2023-03-27.
  9. ^ a b c "International Platform on Sustainable Finance" (PDF). Europa. Archived (PDF) from the original on 29 September 2022. Retrieved 3 November 2022.
  10. ^ "International Platform on Sustainable Finance". Europa. Archived from the original on 3 November 2022. Retrieved 3 November 2022.
  11. ^ "People's Bank of China Green Bond Endorsed Project Catalogue (2020 Edition) | Green Finance Platform". www.greenfinanceplatform.org. Archived from the original on 2022-01-27. Retrieved 2023-11-17.
  12. ^ a b Zhang, Hao (January 2020). "REGULATING GREEN BONDS IN THE PEOPLE'S REPUBLIC OF CHINA: DEFINITIONAL DIVERGENCE AND IMPLICATIONS FOR POLICY MAKING" (PDF). ADBI Working Paper Series. Archived (PDF) from the original on June 5, 2023. Retrieved November 17, 2023.{{cite web}}: CS1 maint: date and year (link)
  13. ^ a b Deng, Manshu; Xie, Wenhong; MacGeoch, Matthew; Xu, Xinru; Shi, Yi; Shang, Jin; Chen, Yingying; Lu, Zhengwei; Qian, Lihua (May 2023). "China Sustainable Debt - State of the Market Report 2022" (PDF). Climate Bonds Initiative. Archived (PDF) from the original on December 3, 2023. Retrieved November 17, 2023.
  14. ^ "People's Bank of China Green Bond Endorsed Project Catalogue (2020 Edition) | Green Finance Platform". www.greenfinanceplatform.org. Retrieved 2023-11-19.
  15. ^ Meng, Alan X.; Xie, Wenhong; Shao, Huan; Shang, Jin; Qiqige, Zhula (July 2021). "China Green Bond Market Report – 2022" (PDF). Climate Bonds Initiative. Archived (PDF) from the original on November 19, 2023. Retrieved November 17, 2023.
  16. ^ Zhang, Yanbo; Li, Xiang (2022-06-15). "The Impact of the Green Finance Reform and Innovation Pilot Zone on the Green Innovation—Evidence from China". International Journal of Environmental Research and Public Health. 19 (12): 7330. doi:10.3390/ijerph19127330. ISSN 1661-7827. PMC 9223728. PMID 35742578.
  17. ^ a b zhoufeng. "China's 14th Five-Year Plans on Renewable Energy Development and Modern Energy System". www.efchina.org. Archived from the original on 2023-11-30. Retrieved 2023-12-01.
  18. ^ a b Wang, Shangjia; Zhao, Wenhui; Fan, Shuwen; Xue, Lei; Huang, Zijuan; Liu, Zhigang (January 2022). "Is the Renewable Portfolio Standard in China Effective? Research on RPS Allocation Efficiency in Chinese Provinces Based on the Zero-Sum DEA Model". Energies. 15 (11): 3949. doi:10.3390/en15113949. ISSN 1996-1073.
  19. ^ "China Development Bank enhances green initiatives". China Development Bank. August 24, 2021. Archived from the original on September 30, 2023. Retrieved December 1, 2023.
  20. ^ "The Way Forward in Green and Sustainable Financing in Hong Kong – A Reflection from the 2023-24 Budget". Mayer Brown. Archived from the original on 13 March 2023. Retrieved 9 March 2023.
  21. ^ "A European Green Deal". Europa. 14 July 2021. Retrieved 3 November 2022.
  22. ^ "Finance and the Green Deal". Europa. Archived from the original on 11 December 2022. Retrieved 12 November 2022.
  23. ^ "NextGenerationEU". Europa. Archived from the original on 11 December 2022. Retrieved 3 November 2022.
  24. ^ "Recovery Plans for Europe". Europa. Archived from the original on 9 December 2022. Retrieved 3 November 2022.
  25. ^ "Recovery and Resilience Facility". Europa. 12 February 2021. Retrieved 3 November 2022.
  26. ^ a b "Climate Bonds Initiative". Climate Bonds Initiative. Archived from the original on 2015-09-05. Retrieved 2021-10-17.
  27. ^ a b Harrison, C; MacGeoch, M; Michetti, C (2022). Sustainable Debt Global State of the Market 2021 (PDF). Climate Bonds Initiative. Archived (PDF) from the original on 5 November 2022. Retrieved 22 October 2022.
  28. ^ a b c Gabor, Daniela; Dafermos, Yannis; Nikolaid, Maria; Rice, Peter; van Lerven, Frank; Kerslake, Robert; Pettifor, Ann; Jacobs, Michael (2019). Finance and climate change: a progressive green finance strategy for the UK (PDF). Labour. Archived (PDF) from the original on 11 December 2022. Retrieved 11 November 2022.
  29. ^ "Green Bond Principles". www.icmagroup.org. Archived from the original on 2020-05-30. Retrieved 2020-05-22.
  30. ^ "Commission puts forward a new strategy to make the EU's financial system more sustainable and proposes new European Green Bond Standard". European Commission. 6 July 2021. Archived from the original on 2019-06-21. Retrieved 2021-10-17.
  31. ^ Karim Henide (2021-12-22). "Green lemons: overcoming adverse selection in the green bond market". Transnational Corporations. 28 (3): 35–63. doi:10.18356/2076099x-28-3-2. S2CID 245453922. Archived from the original on 2022-01-04. Retrieved 2022-01-22.
  32. ^ Henide, Karim (2022-01-17). "The European Central Bank's vision for green bond standards forgoes inclusivity". LSE Business Review. Archived from the original on 2022-01-22. Retrieved 2022-01-22.
  33. ^ Pellicani, Nicholas P. (20 February 2024). "EU Green Bonds Regulation". Debevoise & Plimpton. Archived from the original on 23 May 2024. Retrieved 23 May 2024.
  34. ^ a b Baldi, F; Pandimiglio, A (May 2022). "The role of ESG scoring and greenwashing risk in explaining the yields of green bonds: A conceptual framework and econometric analysis". Global Finance Journal. 52: 100711. doi:10.1016/j.gfj.2022.100711. hdl:11585/947074. S2CID 246209080. Retrieved 27 October 2022.
  35. ^ a b Sholem, Michael (10 March 2021). "ESMA Proposes Rules for Taxonomy-Alignment of Non-Financial Undertakings and Asset Managers". The National Law Review. Archived from the original on 19 October 2021. Retrieved 5 April 2021.
  36. ^ a b "EU taxonomy for sustainable activities". European Commission. Archived from the original on 5 April 2021. Retrieved 5 April 2021.
  37. ^ a b Sánchez Nicolás, Elena (2 April 2021). "Experts threaten to quit over new EU 'green finance' rules". EUobserver. Archived from the original on 5 April 2021. Retrieved 5 April 2021.
  38. ^ Morgan, Sam (29 March 2021). "View from Brussels: Nuclear power set for EU boost". eandt.theiet.org. Archived from the original on 29 March 2021. Retrieved 5 April 2021.
  39. ^ Hall, Siobhan (25 March 2021). "Draft EU taxonomy sparks discord over gas, nuclear future". Montel news. Archived from the original on 26 March 2021. Retrieved 5 April 2021.
  40. ^ "Chancellor sets out ambition for future of UK financial services". GOV.UK. Archived from the original on 2022-06-01. Retrieved 2021-05-20.
  41. ^ "Supporting Factor". European Banking Federation. 2014-01-22. Archived from the original on 2022-01-24. Retrieved 2021-10-16.
  42. ^ "Keynote speech of Vice-President Valdis Dombrovskis on challenges and impacts of implementing Basel III". European Commission - European Commission. Archived from the original on 2021-10-16. Retrieved 2021-10-16.
  43. ^ "A Green Supporting Factor — The Right Policy?, SUERF Policy Notes .:. SUERF - The European Money and Finance Forum". SUERF.ORG. Archived from the original on 2021-10-16. Retrieved 2021-10-16.
  44. ^ "Report – Breaking the climate-finance doom loop | Finance Watch". 2020-06-07. Archived from the original on 2021-10-16. Retrieved 2021-10-16.
  45. ^ 2016-04-22T15:13:00+01:00. "French Energy Transition Law: Global investor briefing on Article 173". PRI. Archived from the original on 2021-10-20. Retrieved 2021-10-17.{{cite web}}: CS1 maint: numeric names: authors list (link)
  46. ^ Bingler, Julia Anna and Kraus, Mathias and Leippold, Markus, Cheap Talk and Cherry-Picking: What ClimateBert has to say on Corporate Climate Risk Disclosures (March 2, 2021).
  47. ^ Mésonnier Jean-Stéphane, Nguyen Benoît « Showing off cleaner hands: mandatory climate-related disclosure by financial institutions and the financing of fossil energy Archived 2021-10-16 at the Wayback Machine  », Banque de France, January 2021
  48. ^ "Sustainable economy: Parliament adopts new reporting rules for multinationals". News European Parliament. 11 October 2022. Archived from the original on 28 November 2022. Retrieved 1 December 2022.
  49. ^ a b "Green central banking". European Parliament. Archived from the original on 11 December 2022. Retrieved 11 November 2022.
  50. ^ a b "NGFS climate scenarios for central banks and supervisors". NGFS. 24 June 2020. Archived from the original on 18 November 2022. Retrieved 22 November 2022.
  51. ^ "Adapting central bank operations to a hotter world: Reviewing some options". Banque de France. 2021-03-24. Archived from the original on 2022-06-26. Retrieved 2022-06-01.
  52. ^ a b "The ECB pledge on climate change action" (PDF). Europa. Archived (PDF) from the original on 22 November 2022. Retrieved 3 November 2022.
  53. ^ "ECB presents action plan to include climate change considerations in its monetary policy strategy". European Central Bank. 2021-07-08. Archived from the original on 2021-10-16. Retrieved 2021-10-16.
  54. ^ Randow, Jana (1 June 2022). "Lagarde Has Open Mind on ECB Lending as a Climate-Crisis Tool". www.bloomberg.com. Archived from the original on 2022-10-20. Retrieved 2022-06-01.
  55. ^ "Bank of Japan to launch climate lending facility". Green Central Banking. 2021-06-21. Archived from the original on 2022-04-04. Retrieved 2022-06-01.
  56. ^ a b Barker, Richard; Eccles, Robert G.; Serafeim, George (2020-12-03). "The Future of ESG Is … Accounting?". Harvard Business Review. ISSN 0017-8012. Archived from the original on 2022-12-14. Retrieved 2022-12-14.
  57. ^ a b Eccles, Robert G.; Mirchandani, Bhakti (2022-02-15). "We Need Universal ESG Accounting Standards". Harvard Business Review. ISSN 0017-8012. Archived from the original on 2022-12-14. Retrieved 2022-12-14.
  58. ^ "ISO 32210:2022(en) Sustainable finance — Guidance on the application of sustainability principles for organizations in the financial sector". ISO. Archived from the original on 17 June 2016. Retrieved 12 November 2022.
  59. ^ Cardoni, Andrea; Kiseleva, Evgeniia; Terzani, Simone (2019). "Evaluating the Intra-Industry Comparability of Sustainability Reports: The Case of the Oil and Gas Industry". Sustainability. 11 (4): 1093. doi:10.3390/su11041093.
  60. ^ Berg, Florian; Koelbel, Julian; Pavlova, Anna; Rigobon, Roberto (October 2022). ESG Confusion and Stock Returns: Tackling the Problem of Noise (Report). Cambridge, MA: National Bureau of Economic Research. doi:10.3386/w30562.
  61. ^ "Here's why comparable ESG reporting is crucial for investors". World Economic Forum. 2021-07-08. Archived from the original on 2023-12-26. Retrieved 2023-12-30.
  62. ^ Bril, Herman; Kell, Georg; Rasche, Andreas (2022-10-06). Sustainability, Technology, and Finance. doi:10.4324/9781003262039. ISBN 978-1-003-26203-9. S2CID 252775344.
  63. ^ Lykkesfeldt, Poul; Kjaergaard, Laurits Louis (2022), "Encompassing ESG Rating Agencies", Investor Relations and ESG Reporting in a Regulatory Perspective, Cham: Springer International Publishing, pp. 305–311, doi:10.1007/978-3-031-05800-4_39, ISBN 978-3-031-05799-1, retrieved 2023-12-30
  64. ^ "Archived copy" (PDF). Archived (PDF) from the original on 2024-02-04. Retrieved 2023-12-30.{{cite web}}: CS1 maint: archived copy as title (link)
  65. ^ Ferriani, F. (2023). Issuing bonds during the Covid-19 pandemic: Was there an ESG premium?. International Review of Financial Analysis, 88, 102653.
  66. ^ Karwowski, Mariusz; Raulinajtys-Grzybek, Monika (2021-03-19). "The application of corporate social responsibility (<scp>CSR</scp>) actions for mitigation of environmental, social, corporate governance (<scp>ESG</scp>) and reputational risk in integrated reports". Corporate Social Responsibility and Environmental Management. 28 (4): 1270–1284. doi:10.1002/csr.2137. ISSN 1535-3958. S2CID 233652951.
  67. ^ Carroll, Archie B.; Shabana, Kareem M. (2010-01-15). "The Business Case for Corporate Social Responsibility: A Review of Concepts, Research and Practice". International Journal of Management Reviews. 12 (1): 85–105. doi:10.1111/j.1468-2370.2009.00275.x. ISSN 1460-8545. S2CID 8385030.
  68. ^ https://stacs.io/governments-eye-mandatory-esg-disclosures/, see also https://www.azeusconvene.com/articles/the-global-state-of-mandatory-esg-disclosures
  69. ^ "Letter: Untangling ESG mess will need more than regulation". Archived from the original on 2023-12-25. Retrieved 2023-12-30.
  70. ^ Bhagwati, J. N. (1995). US trade policy: The infatuation with FTAs.
  71. ^ O’Reilly, S., Gorman, L., Mac An Bhaird, C., & Brennan, N. M. (2023, November). Implementing the European Union Green Taxonomy: implications for small-and medium-sized enterprises. In Accounting Forum (pp. 1-26). Routledge.
  72. ^ a b "Archived copy" (PDF). Archived (PDF) from the original on 2023-07-09. Retrieved 2023-12-30.{{cite web}}: CS1 maint: archived copy as title (link)
  73. ^ Cited by Fichtner, J., Jaspert, R. and Petry, J. (2023), Mind the ESG capital allocation gap: The role of index providers, standard-setting, and “green” indices for the creation of sustainability impact. Regulation & Governance. doi:10.1111/rego.12530
  74. ^ CAPIZZI, VINCENZO; GIOIA, ELEONORA; GIUDICI, GIANCARLO; TENCA, FRANCESCA (2021-11-12). "The Divergence of Esg Ratings: An Analysis of Italian Listed Companies". Journal of Financial Management, Markets and Institutions. 09 (2). doi:10.1142/s2282717x21500067. hdl:11311/1186251. ISSN 2282-717X.
  75. ^ a b Berg, Florian; Kölbel, Julian F; Rigobon, Roberto (2022-05-23). "Aggregate Confusion: The Divergence of ESG Ratings". Review of Finance. 26 (6): 1315–1344. doi:10.1093/rof/rfac033. ISSN 1572-3097.
  76. ^ Simpson, Cam; Rathi, Akshat; Kishan, Saijel (2021-12-10). "Sustainable Investing Is Mostly About Sustaining Corporations". Bloomberg.com. Archived from the original on 2024-02-11. Retrieved 2023-12-30.
  77. ^ Berg, Florian; Fabisik, Kornelia; Sautner, Zacharias (2020). "Rewriting History II: The (Un)Predictable Past of ESG Ratings". SSRN Electronic Journal. doi:10.2139/ssrn.3722087. ISSN 1556-5068. S2CID 237288718.
  78. ^ El-Hage, J. (2021). Fixing ESG: Are Mandatory ESG Disclosures the Solution to Misleading ESG Ratings?. Fordham J. Corp. & Fin. L., 26, pp368
  79. ^ Baer, Moritz; Campiglio, Emanuele; Deyris, Jérôme (December 2021). "It takes two to dance: Institutional dynamics and climate-related financial policies". Ecological Economics. 190: 107210. Bibcode:2021EcoEc.19007210B. doi:10.1016/j.ecolecon.2021.107210. hdl:11585/835003. Archived from the original on 2023-03-27. Retrieved 2023-01-12.
  80. ^ Fontan, Clément; Claveau, François; Dietsch, Peter (2016-07-31). "Central banking and inequalities". Politics, Philosophy & Economics. 15 (4): 319–357. doi:10.1177/1470594x16651056. ISSN 1470-594X. S2CID 156079188.
  81. ^ "Greenpeace lands on ECB tower in climate finance protest". POLITICO. 2021-03-10. Archived from the original on 2023-01-12. Retrieved 2023-01-12.
  82. ^ Tucker, Paul (2020-02-20). "Do Central Banks Serve the People? Peter Dietsch, Francois Claveau and Clement Fontan. Polity Press, 2018, vii + 135 pages". Economics and Philosophy. 36 (3): 481–487. doi:10.1017/s026626711900035x. ISSN 0266-2671. S2CID 213077397.
  83. ^ a b c Dietsch, Peter; Fontan, Clément; Dion, Jérémie; Claveau, François (2022). Green Central Banking. Archived from the original on 2 December 2022. Retrieved 27 October 2022.
  84. ^ Elgie, Robert (January 2002). "The politics of the European Central Bank: principal-agent theory and the democratic deficit". Journal of European Public Policy. 9 (2): 186–200. doi:10.1080/13501760110120219. ISSN 1350-1763. S2CID 53073648. Archived from the original on 2022-07-21. Retrieved 2023-01-12.