Without access to carbon credits, companies all over the world will only get so far in their efforts to reduce emissions – credits allow them to offset those emissions that may be otherwise impossible or difficult to eliminate.
But new analysis
published by ISDA last week confirms our earlier findings that the
conservatism of Basel III capital requirements for carbon credits could
impair the ability of banks to support the transition to a sustainable
economy.
As it stands, the Fundamental Review of the Trading Book (FRTB) – the
Basel III market risk rules that are due to be implemented in the
coming years – would include a standardized approach to capital
calculation that assigns a 60% risk weight to carbon trading. This is
among the highest of all commodities. In July 2021, ISDA published a detailed analysis
of historical data from the EU Emissions Trading System (ETS) that
suggested the risk weight for carbon trading should actually be 37%.
While the EU ETS accounts for nearly 80% of global trading in carbon
credits, we recognized the need to extend this analysis so policymakers
in other jurisdictions have the relevant facts and data at hand when
making decisions about capital requirements. This was the rationale for
our latest paper, which replicates the analysis for two North American
markets – the Western Climate Initiative (WCI) and the Regional
Greenhouse Gas Initiative (RGGI) – and the UK ETS. The paper is based on
analysis of all available, relevant data from these markets.
The latest findings suggest historical volatility during periods of
stress in North American markets is significantly lower than in the EU –
33% for the RGGI and 20% for the WCI, compared to the 56% observed
volatility in the EU ETS. However, given the size and maturity of the EU
ETS, we maintain our previous recommendation for the risk weight (which
incorporates historical volatility in its calculation) to be set at
37%, in line with EU ETS findings.
The FRTB also imposes a capital charge for buying spot and selling
forward, applying a correlation of 0.99 to these carry positions to
account for the fluctuating costs of storing commodities, despite the
fact there are no physical storage costs for carbon credits. Our latest
analysis confirms our original recommendation that the correlation
should be increased to 0.996.
The new paper comes at a critical time, as key jurisdictions are
developing legislation that will transpose Basel III into law. The EU
fired the starting gun in this process in October 2021 with publication
of the EC’s legislative proposal for the third Capital Requirements
Regulation, and we welcome its suggestion that the risk weight for
carbon trading should be reduced to 40%. We urge EU officials and
politicians to support this proposal, and we believe it should be
replicated in other jurisdictions to ensure an appropriate and
consistent approach to this market.
Time and again during the evolution of Basel III, this kind of
fact-based advocacy has proved critical in identifying and ironing out
calibration issues. Reducing the risk weight and increasing the tenor
correlation for carbon credits as recommended would lead to an overall
reduction in capital requirements of as much as 60%. This will make an
important difference in determining the extent to which banks can
participate in carbon trading, which, in turn, will impact the speed and
effectiveness of the green transition.
To read ISDA’s latest paper, Implications of the FRTB for Carbon Certificates, A Global Perspective, click here.
ISDA
© ISDA - International Swaps and Derivatives Association
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