From tenants to asset managers, to investors, ESG is at the top of the list in key decision-making. This dovetails with the global necessity to achieve a net zero and sustainable future, reinforced with the 2015 Paris Accord and subsequent COP gatherings. Moreover, the UK was the first G7 country to sign its commitment to net zero greenhouse gas emissions by 2050 into law.
Where do we in the UK Real Estate funds industry currently stand with ESG market and regulatory challenges and opportunities?
To achieve ESG goals, a number of practical aspects need to come together. First and foremost, there needs to be desire and motivation to achieve objectives. Real Estate investments have long been part of a diverse portfolio allocation for institutional investors. Over 450 of the world’s largest financial institutions formed the Glasgow Financial Alliance for Net Zero ("GFANZ") alliance, with an estimated $130 trillion of private capital committed to net-zero. The tone was firmly set for the institutional investor community that net zero is locked-in to investment activities going forward. Institutional Investors will have set their own net zero targets and commitments and now expect the asset managers they work with to be aligned.
Real Estate fund managers will also be taking note of the demands from tenants and occupiers, both commercial and residential. Positive ESG credentials are in demand and can be the obvious differentiator in rental levels between two similar assets.
The stage is set and it seems the full cast and crew are ready, so what is the current status in this net zero journey for the UK Real Estate sector?
“What gets measured, gets managed”
Critical to the journey is the ability to credibly review performance and milestones against targets. At times, the long list of acronyms can be frustrating and confusing. Below, we take a closer look at some of the acronyms widely used in the UK.
The Patent (TCFD)
International investors may bemoan the regional and jurisdictional legislation that has appeared in recent years, each similar, but different and potentially creating nuanced reporting needs across global portfolios. It is worth remembering though that the parent to all the various environmental disclosures is common and it is the Task Force on Climate-related Financial Disclosures (TCFD). The TCFD recommendations on climate-related financial disclosures are widely adoptable and applicable across sectors and jurisdictions. They are designed to solicit useful, forward-looking information that can be included in mainstream financial filings.
The recommendations are structured around four thematic areas that represent core elements of how organisations operate: governance, strategy, risk management, and metrics and targets.
Sustainable Disclosure Requirements (SDR)
In the UK, the SDR proposals issued by the Financial Conduct Authority (FCA), implement the TCFD recommendations alongside FCA guidance and principles. The proposals, as set out within a consultation document which closed for responses earlier this year, and the FCA policy statement are expected in Q3 this year. The FCA’s policy goals focus on combatting greenwashing across multiple asset classes and improving the level and clarity of sustainability information that investors receive. Whilst the labels are primarily intended to be used for products marketed to retail investors, managers also have the option to use these sustainable investment labels for products being marketed to institutional investors.
How Real Estate institutional fund managers can prepare to use this new label system?
Some may argue that the SDR label system is a regulatory burden that they would rather avoid and that managers that also operate in the European Economic Area are already having to give much attention and resources in meeting the EU’s Sustainable Finance Disclosure Regulation (SFDR) requirements.
However, there are good arguments for UK managers to opt to use the labels voluntarily, the most compelling of these being that SDR provides credible labels for funds looking to market themselves as having sustainability objectives.
We anticipate that SDR will provide a welcome step forward to create a clearer situation around labelling than that which evolved under SFDR. Later this year, the European Commission is expected to review the current approach of the European Securities and Markets Authority (ESMA) that SFDR is a disclosure framework and not a labelling system.