Why ESG is not enough
The growth in
Environmental, Social and Governance (ESG)
Sustainability
There’s a significant commercial opportunity in ESG and the fund management industry is responding. Recently, Bloomberg estimated that within 5 years ESG funds will make up one third of the projected $140.5 trillion global total by 2025; and that ESG assets are on track to reach $53 trillion – up from $37.8 trillion – by year-end. 2 As part of this expansion drive, many existing funds have been re-labelled.
In the UK in 2020, there were 505 sustainable funds launched, 250 were simply repurposed existing funds that had previously not marketed themselves as having any sustainable credentials.
morningstar
With such growth, and the re-tooling of investment teams required to incorporate ESG analysis, there is a danger of variations in quality. Our experience with our fund due diligence has revealed a noticeable divergence of quality within these launches. Since inception, we’ve done extensive due diligence on more than 150 varying funds across all
Asset class
Twin-lens
Unsurprisingly, passive funds have been a large driver of growth of the ESG market in Europe and by the end of 2020 accounted for 22.5 percent of funds by number. 3 While requiring even less fund manager oversight and a greater reliance on third-party data, which may have been subject to lower levels of scrutiny, passive funds generally have no expectation of engagement with management teams over non-financial issues. This is not a new concern, but it serves as a reminder that ESG alone is unlikely to create a culture of engagement with management teams to effect positive change. We are conscious of the relative ineffectiveness of ESG compliance compared to more action orientated funds which are prioritising a higher standard of responsibility and sustainability in their engagement. The recent example of the activism of Engine No.1 LLC in Exxon 4 is a case in point. Exxon wasn’t being influenced by the criticism coming from the responsible investment community and omission from ESG indices. Instead, the active engagement of the Engine No.1 LLC hedge fund has potentially delivered significant change, with three “climate friendly” board members appointed and a demonstrable change of tack now more possible at one of the world’s largest carbon emitters.
The introduction of the SFDR in March this year should offer some welcome regulatory support to the categorisation of fund strategies, which are being asked to self-certify compliance with Articles 6, 8 or 9, the latter two corresponding to “light green” and “dark green” respectively. Article 9 funds for example should have sustainability or reduction of carbon emissions as the fund’s stated objective. While all of the
Equity
Time will tell if increased regulation will lead to improvements. In the meantime, the noise around non-financial objectives is unlikely to reduce and investors will need to be extra vigilant to ensure that they understand the limitations of fund labelling. For now, the best protection for investors is to keep a close eye on what fund managers are actually investing in, rather than how they are describing their strategy.