Failing to plan is planning to fail: Prudential transition plans and European Banking Authority consultation

26 January 2024 - Foreword of the week - By : Julie EVAIN

After nearly 4 years of negotiations, the European Union has just reached an agreement to reform the Capital Requirements Directive (CRD) for banks. The inclusion of climate change is a major step forward: banks will have to draw up prudential transition plans, supervised by the European Central Bank. These plans will complement the European regulatory architecture that is being put in place for large companies, with the Sustainability Reporting Directive (CSRD) and the Due Diligences Directive (CSDD). Are these banking transition plans a sufficient breakthrough to finally commit banks to climate neutrality? The answer to this question will depend on the implementation of EU legislation.

 

The European Banking Authority is at the helm of the EU banking system, and it must determine the precision of the “passage plan”. Indeed, it must provide a precise definition of these transition plans and their scope.  The Authority has just submitted its draft guidelines for consultation. In this document, the European Banking Authority takes a narrow view of the prudential transition plan: an instrument for risk management alone, with no real strategy for organising the financing of the transition. But these are two sides of the same coin. Participating in the reorientation of banks’ activities means avoiding a disorderly and delayed transition, which would only increase the physical and transition risks. Faced with the rough seas of the international economy, EU banks need a navigation map to safely sail towards the harbour of this climate neutrality, and not just provide details on the obstacles along the way.  

 

The document also takes up previous recommendations made by I4CE, on the sector coverage, time horizons, banks’ portfolios and variable remunerations. These elements should be retained during the consultation. It is now up to national supervisors, banking federations, think-tanks and NGOs to respond to this consultation before the European Banking Authority publishes its final document, expected by the end of 2024. This stage will be decisive to deliver guidelines that are fit for banks’ transformations. Indeed, mapping the way forward is key to ensure safe journey that takes to the desired destination. Failing to plan, would be planning to fail. 

 

Read the newsletter

To learn more
  • 06/28/2024
    From Stranded Assets to Assets-at-Risk: Reframing the narrative for European private financial institutions

    Private financial institutions must rethink their approach to managing stranded asset risks. The current narrative on quantifying fossil fuel sector exposures within a limited scope of financial portfolios (mostly loans) largely underestimates potential stranding losses. As the low-carbon transition impacts all economic sectors, private financial institutions (FIs) must consider material transition-driven stranding risks within their overall transition risk management framework using a ‘whole of economy’ lens. Traditional risk management approaches are ill-suited to the methodological and quantification challenges of transition-driven stranding risks, so a flexible, dynamic, forward-looking approach is necessary. Strong, incentivising public policy coordinated with financial regulatory and supervisory impetus is necessary to preemptively identify, monitor and manage stranding losses on ‘assets-at-risk’ (i.e., potential stranded assets). The ECB finds that 40% of the total loan portfolio of euro area banks is exposed to energy-intensive sectors*, making them vulnerable to transition risks, including stranding. It is time for an urgent reframing of the stranded asset narrative to avoid significant financial losses (endangering financial stability) and direct orderly transition finance flows to retire or transform assets-at-risk before they become fully stranded.

  • 04/25/2024
    I4CE’s recommendations to the European Banking Authority on prudential transition plans

    The European Banking Authority (EBA) is clarifying how the banks should frame their “transition plan” as required by the EU prudential regulation. The transition plan is the bank’s strategic roadmap to prepare for the transition to a sustainable economy as framed by the jurisdictions they operate in, including an EU climate-neutral economy. It has been introduced in several EU regulatory frameworks, including as a disclosure requirement arising from the CSRD. The prudential framework and the EBA are focusing on a specific angle: how the banks plan to manage their financial risks related to the transition. EBA’s framing of these plans will be key to determine whether the banks will manage their financial risks consistently with the broader need of financing the transition to a low-carbon economy. 

  • 04/11/2024
    I4CE’s recommendations to the Basel Committee on the disclosure of climate-related risks

    After a first step in 2022, the Basel Committee on Banking supervision is finally moving towards regulation for climate-related risks. Founded in 1974, this forum brings together financial supervisors of the G20 countries and establishes the common standards for financial stability. Two years ago, the Committee published a consultative document on the principles of climate […]

See all publications
Press contact Amélie FRITZ Head of Communication and press relations Email
Subscribe to our mailing list :
I register !
Subscribe to our newsletter
Once a week, receive all the information on climate economics
I register !
Fermer