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June 7, 2021

Sustainable finance & market integrity: 2DII paper identifies critical regulatory gaps

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  • Environmental impact claims in the finance sector are failing to meet general consumer protection principles
  • Review of environmental impact claims for sustainable funds available to retail investors in France reveals significant concerns about the current extent of greenwashing

In recent years, there has been a significant rise in financial institutions communicating their activities in the areas of sustainable finance, responsible investment, and other equivalent concepts. This comes as retail investors are growing increasingly interested in the potential environmental impact of their investments, with 65-85% of French and German investors saying they want to invest more sustainably. At the same time, investors more broadly have been pouring unprecedented amounts of money into ESG funds: in 2020, these funds more than doubled vs. the previous year despite the effects of COVID-19.

But retail investors remain understandably concerned about the truthfulness of environmental impact claims associated with financial products. This means it is critical for regulatory authorities to foster consumer confidence by setting rules and standards around these kinds of claims. In this paper, 2DII takes a closer look at the current regulatory landscape and what is needed next.

Read the paper here.

Regulatory analysis & spotlight on the French market

In this paper, 2DII analyzes the regulatory framework applicable to environmental impact claims in the finance sector. This comprises general consumer protection rules (applicable to all sectors) as well as finance sector specific rules. 2DII identifies worrying inconsistencies between the general consumer protection rules as compared to the application of the finance sector specific rules and the stance of financial regulators. Furthermore, the new disclosure requirements being developed in relation to the Sustainable Finance Disclosure Regulation and the Taxonomy Regulation do not address these problems. Consequently, market practices in response to these new disclosure requirements are inconsistent with the general consumer protection principles which themselves apply to the finance sector.

In addition, 2DII reviews a sample of French retail investment funds marketed as having sustainability features, to identify high-level trends in current market practice. While some funds avoided the pitfalls of greenwashing by adopting cautious language, a significant number made unsubstantiated environmental impact claims that plainly steered into greenwashing.

Potential future improvements & recommendations

Despite the current regulatory inconsistency, we see encouraging signs of potential future improvements. For instance, two upcoming EU initiatives aim to boost consumer protection regarding companies’ environmental communications. Additionally, the Commission has tacitly acknowledged the need to clarify the notion of investor impact, as revealed in its 2020 consultation before publication of the Renewed Sustainable Finance Strategy.

Recommendations to ensure improvement of market practices

In view of this trend, we recommend several steps to help improve market practices around environmental impact claims in the finance sector. These include:

  1. Improving research and data to develop evidence-based frameworks to assess investor impact
  2. Financial institutions adopting a more sophisticated and cautious approach to environmental impact claims.
  3. Strengthening regulatory oversight of environmental impact claims

2DII’s Impact Program is currently working on a number of initiatives on this topic, from policy research to development of new tools to engaging with financial sector players. This includes developing a Climate Impact Management System to guide FIs in setting up science-based climate contribution strategies. In addition, 2DII has devised a Climate Action Guide which summarizes information about actions financial institutions can take to contribute to emissions reductions.

Our funders

This project has received funding from the European Union’s LIFE program under grant agreement LIFE18IPC/FR/000010 A.F.F.A.P.

Disclaimer: This work reflects only the views of 2DII. Other members of the Finance ClimAct Consortium and the European Commission are not responsible for any use that may be made of the information it contains.

 

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2DII today announced it is transferring stewardship of the Paris Agreement Capital Transition Assessment (PACTA) to RMI, formerly Rocky Mountain Institute. PACTA measures financial portfolios' alignment with various climate scenarios, including those consistent with the Paris Agreement. Under RMI’s stewardship, PACTA will remain a free, independent, open-source methodology and tool, and will continue to provide the financial and supervisory community with forward-looking, science-based scenario analysis to help users make climate-aligned financing decisions. RMI will invest in scaling up PACTA’s usability and applicability in day-to-day investment decisions as well as reporting requirements.

Access the full press release here: https://2degrees-investing.org/2-investing-initiative-transfers-stewardship-of-pacta-to-rmi/In the coming weeks, we will update this website with additional information. For now, please note that all contact information remains unchanged.