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Conundrum Cubed: Scope 3 for Financials


Scope 3 disclosures are complex, and Category 15 (Investments) is an obscure segment intended to cover emissions that arise from one company having a stake in another (i.e., financial transactions)1. For most companies, this represents a proverbial footnote in their overall emissions profile. Indeed, given Category 15’s unique set of conceptual and data challenges, it is not a coincidence that it sits at the tail end of the Scope 3 catalogue.

For financial institutions, however, financial transactions are the business, making Category 15 emissions a critical component of their overall emissions disclosures.

Financed and Facilitated Emissions

securities or for which it facilitates a loan through syndication. have been advocating for more disclosures. These include the Partnership for Carbon Accounting Financials (PCAF), the Principles for Responsible Investing (PRI), the Glasgow Financial Alliance for Net Zero (GFANZ), the Science Based Targets Initiative (SBTi), CDP, and the Transition Pathway Initiative (TPI).

Three Key Challenges

Financial institutions need to overcome three key challenges in disclosing their financed and facilitated emissions to improve corporate reporting rates.

First, in contrast to other Scope 3 categories, the rulebook for reporting on financed emissions and facilitated emissions is in many ways still nascent and incomplete. Accounting rules for financed emissions were only finalized by PCAF and endorsed by the Greenhouse Gas (GHG) Protocol — the global standard setter for GHG accounting — in 2020.5 These codify the accounting rules for banks, asset managers, asset owners and insurance firms. Rules for facilitated emissions followed in 20236, covering large investment banks and brokerage services. Those for reinsurance portfolios are currently pending the approval of the GHG Protocol7, while rules for many other types of financial institution (not least exchanges and data providers like us) currently don’t exist.

Exhibit 1.

image for scope 3 emissions

Source: LSEG, CDP. Companies reporting material and other Scope 3 vs non-reporting companies, in 2022 FTSE All-World Index, by Industry

Second, there are significant challenges around acquiring client emissions data. In principle, financed and facilitated emissions calculations are quite simple. They require two main inputs: the Scope 1, 2, and 3 emissions generated from a client’s business and an attribution factor that determines the share of a client’s emissions that a reporting financial institution has exposure to or is responsible for.

Exhibit 2.  Features of PCAF’s Financed and Facilitated emissions standards5,6

image 2 for scope 3 emissions

Third, there are complexities around attribution factors. For financed emissions, this is the ratio of investments and/or outstanding loan balance to the client’s company value. However, market fluctuations of share prices complicate this picture and can result in swings in financed emissions that are not linked to the actual emissions profile of client companies.8

The same problem persists for facilitated emissions, but worse. Determining appropriate attribution factors is often conceptually difficult due to the myriad different ways that financial institutions facilitate financial transactions, from issuing securities to underwriting syndicated loans. As the Chief Sustainability Officer of HSBC recently explained,9 “This stuff sometimes is hours or days or weeks on our books. In the same way that the corporate lawyer is involved in that transaction, or one other big four accounting firms is involved…they are facilitating the transaction. This is not actually our financing.”

Next Steps?

Given these complexities and the significant reporting burden, financed and facilitated emissions are likely to remain a headache for reporting companies, investors, and regulators alike for some time to come.

One tangible way forward could be to encourage financial institutions to provide better disclosures on the sectoral and regional breakdown of their client books. This is readily available, if rarely disclosed, data. This could allow investors and regulators to gain a better, if imperfect, understanding of the transition risk profile of financial institutions while reporting systems for financed and facilitated emissions continue to mature.

Resources

FTSE Russell’s Scope for Improvement report addresses 10 key questions about Scope 3 emissions and proposes solutions to enhance data quality.

In its Climate Data in the Investment Process report, CFA Institute Research and Policy Center discusses how regulations to enhance transparency are evolving and suggests how investors can make effective use of the data available to them.


Footnotes



from Investment – My Blog https://www.newstrenders.com/2024/07/04/conundrum-cubed-scope-3-for-financials/
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