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Environmental Risk Analysis Research Yin Hong Environmental Risk Analysis Rese arch Program, ICBC. - 1 -. Content. 1.Overview. 1.Overview. 1. Background. 1.Overview. 1.Overview. 1.Overview. 1.Overview. 2. Stress test. 2.Green Credit System. 2.Green Credit System.

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  1. Environmental Risk Analysis Research Yin Hong Environmental Risk Analysis Research Program, ICBC - 1 -

  2. Content 1.Overview 1.Overview 1.Background 1.Overview 1.Overview 1.Overview 1.Overview 2.Stress test 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 3.Typical Cases 3.Typical Cases 3.Typical Cases 3.ESG Rating

  3. 1.1 Background Climate change,environmental and resource constraints have been becoming global issues. In China, after more than 30 years’ high-speed development, the problems of environment pollution and high resource consumption are becoming increasingly prominent. The environmental risk confronting enterprises keeps growing and mass disturbances happen occasionally. These factors bring the commercial banks pay more attention to environmental and reputational risk than in the past. China has already included the “ecological civilization construction” as part of national strategy, it’s expected that the environmental emission standards would be tightened constantly, and the credit risk of traditionally heavy polluting sectors would be becoming more significant in the future. This stress testing is one major task of the Green Finance Committee of China Society for Finance and Banking. At the request of the Committee, ICBC has launched the stress testing program since the beginning of 2015. Besides the stress testing , ICBC also developed the ESG Index.

  4. 1.2 Significances 1 Quantify the effect of environmental factors on credit risk. Provide methodology for pricing of credit and investment products acounting environmental risk. 2 Environmental Risk Analysis Help banks adjust credit, investment portfolio& other business structure. 3 Offer a tool for quantification of environmental risk so as to divert funds to green investment. 4 Provide a reference for banking regulators when they consider environmental risks. Provide a reference for banking regulators when they consider environmental risks. Provide a reference for banking regulators when they consider environmental risks. Provide a reference for banking regulators when they consider environmental risks. 5 for banking regulators when they consider environmental risks. 5 4

  5. 1.3ICBC Released the Stress Testing Study On 23rd March 2016, ICBC released the achievements from the “Study on the Stress Testing for the Impact of Environmental Factor on Credit Risk of Commercial Banks” at the “The future of green finance international event” in London. Andrew voysey says ,this has powerful implications for firms of all types . As knowledge and methodologies develop to enable financial institutions to factor environmental risks into decisions about where they put their money, firms seeking to raise debt, maintain their equity value or buy insurance may increasingly find that their management of environmental factors is a decisive factor in their cost of ,or even access to ,capital. Sean Kidney, CEO and cofounder of the Climate Bond Initiative , said the ICBC research is helpful to accelerate global growth of the green-finance market. Mats Olausson , senior adviser of climate and sustainable financial solutions at the SEB, said “what ICBC has done is applaudable, and highlights the fact that increasingly the financial industry needs to consider sustainabiliy in their day to day activities.”

  6. 1.4Difference Between Stress Test and ESG Index forcasting future hypothetical senarios stress test reflect the past ESG Rating truthful data

  7. Content 1.Overview 1.Overview 1.Background 1.Overview 1.Overview 1.Overview 1.Overview 2.Stress test 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 3.ESG Rating 3.Typical Cases 3.Typical Cases 3.Typical Cases

  8. 2.1 Notions Climate and environment problems have distinct externalities. Both external economy and external diseconomy generated from environment changes can be converted into endogenous variables in the production and operation of enterprises. The internalized enterprise environment cost will impact the risks of commercial banks . environmental factors will exaggerate business risk of commercial banks in at least three ways: 1、credit risk 2、the risk of taking a joint liability 3、reputation risk Relatively, the credit risk, as the main risk confronted by commercial banks, is considered as the focus of our research project.

  9. 2.2Model A model to illustrates the impact of environmental risk on enterprises and banks’ lending risk. :enterprise’s loan demand :lending rate :environmental risk :bank loans :deposit rate Relationship between Risk Exposure of Bank Loans and Environmental Risk :lending rate :environmental risk

  10. 2.3Basic process Stress test`s 6 steps:1. selecting the portfolios to be tested; 2.selecting the stress factors and indicators to be applied;3. selecting stress-bearing objects and determining stress-bearing indicators;4. building scenarios;5. constructing the transmission model; 6.performing the stress test and analysing results Flow Chart of Stress Test:

  11. 2.4 Methodology • Firstly,We begin our stress testing in cement industryand thermal power industry, which are among the higher pollution and higher energy comsuption industries in China. • Secondly,we measure the impact of stricter environmental standards on enterprises` unit cost, under three different scenarios:mild, moderate,severe. • In terms of cement industry ,we take 3 aspects policies into acount, including on emissions standards enhancement, sewage charges standard improvment, waste disposal assistance. • In terms of thermal power industry,we take acount 3 aspects policies, including onemissions standards enhancement, sewage charges standard improvment, the difference of regional standards. • Thirdly,conduct stress test in ICBC’S financial transmission model.we measure the impact of enterprises' unit cost increase on credit rating, probability of default (PD) and non-performing loan ratio (NPLR) for those two industries

  12. 2.5 case study:Thermal Power With regards to the thermalpower industry, the research group constructedheavy, medium and light stress scenarios for theenergy saving and emissions reduction of thermalpower firms according to : the standards releasedby the Ministry of Environmental Protection(end of 2014), the standards of the State Council(end of 2015), and the special limits for easternareas released by the State Council (end of 2020). Based on that, the impact of increasing pollutantdischarge fees by four, three and two times on firmcosts was taken into consideration.

  13. 2.5 case study:Thermal Power

  14. 2.5 case study:Thermal Power Results: 1、stricter environmental protection standards impose great cost pressure on the thermal powerindustry, but the industry will maintain stable on thewhole, owing to the steady growth of the macroeconomyand huge demand for electricity generatedin the process of China’s industrialization. 2、enhanced environmental protection standardswill have major structural impact on the thermalpower industry; particularly, small and mediumsizedfirms (SMEs) will be confronted with obviousfinancial pressures,

  15. 2.5 case study:Thermal Power Policy recommendations: the first is to maintain existing AAAcustomers and continue to attract new high-quality customersfrom the five major power companies. The second is to payattention to the impact of changes in environmental protectionpolicy on the financial cost and credit risk of firms with the ratingof AA+ and below, especially thecorporate customers with thepossibility of being degraded to BBB+ and below. The third isto attach greater priority to opportunities to grant loans to firmswith energy saving and emissions reduction plans. The fourthis to lay emphasis on the upstream and downstream marketsegments generated due to environmental protection technology,e.g. solid waste treatment industry. The fifth is to strictlycontrol the access to funding for thermal power firms that violateenvironmental protection laws and regulations..

  16. 2.5 case study: Steal We set the stress scenarios by considering two mainfactors: pollution treatment pressure and emission reduction pressure. Firstly, analyzing the major processes which consume resources and energy in large amounts. The sintering (palletizing), iron making and steel making processes are chosen as major pollution discharge sources for analysis. Secondly,mainly taking into account smoke dust, industrial dust, SO2, NOx, and VOCs. According to the investigation results, the steel industry now has almost been able to recycle all wastewater without discharging any of it outside. Therefore, the cost of water pollutant discharge is excluded from consideration of this stress test.

  17. 2.5 case study: Steal

  18. 2.5 case study: Steal Policy recommendations: 1.General industry estimates: The steel industry demonstrates signs of recovery and its total size will decrease slightly without compromising its stability in the future. However, as the de-capacity drive and the reform on supply side take effect, the industry will see its concentration on the rise, and its leading and backbone companies are able to gain a considerable space for further development. 2. Commercial banks should continue their differentiated credit policies and seize more market opportunities. 3. Although large-sized major steel companies can withstand great cost arising from environmental protection input, the influence of the de-capacity and the supply-side reform on them still requires close attention. Efforts are to be made to help them build up the awareness of risk prevention.

  19. Content 1.Overview 1.Overview 1.Background 1.Overview 1.Overview 1.Overview 1.Overview 2.Stress test 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 2.Green Credit System 3.ESG Index 3.Typical Cases 3.Typical Cases 3.Typical Cases

  20. ICBC's ESG Rating:Three levels Framework ESG Rating Level 1: 3 Dimension Governance Environment Social Classification of Environmental Friendless Comprehensive Assessment Policy & Disclosure Policy & Disclosure Policy & Disclosure Operation Footprint Comprehensive Assessment Labor Protection Penalty Emission Intensity Compliance Operation Labor Training Tax Transparency Emergency Event Business Ethics Public Welfare Anti -Corruption Level 2: Specific Content Level 3: KPIs

  21. ESG Rating:Highlights • Based on the practice of green credit and risk management of China. • Diversity and reliability of data sources improved rating accuracy and effectiveness. • Highlighted environmental factors in the whole assessment system. • Developed index operation management system and data source system at the same time.

  22. Results of the ESG Rating on SSE 180 Enterprises • the average performance of environment and governance is better than social responsibility. • enterprises vary a lot in their ESG performance, which is mainly caused by information disclosure quality and environmental performance. • though there is a positive correlation between ICBC’s ESG rating score and ESG rating conducted by other institutions], certain differences remains. • power and public utilities ,extractive and manufacturing sectors are with the lowest average ESG scores while finance, real estate and other services perform the best.

  23. ESG Rating:Index Performance Based on 180 SSE 180-ESG Investment Index 180 ESG Development Index

  24. Next Plan • Promote the index management system to achieve regular release of ICBC index. • Expand the scope of the rating from 180 SSE to the 300 enterprises listed in the Shanghai and Shenzhen stock markets for re-evaluation. • Promote the development of “the management system of industrial credit risk”. • Promote the application of the green rating in the daily operation like credit rating, risk control and other business links • Explore the formation of green index investment targets, guiding the social funds flowing to green enterprises. • Popularize our experience to other commercial banks.

  25. Recommendations • Establish a mandatory disclosure system for ESG information. • Policies should be made to futher support enterprises and projects with good ESG performance. • Cultivate responsible investors. • Strengthen academic communication both at home and abroad.

  26. Thank you!

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