AFME supports the proposals to provide investors with transparency, comparability and confidence in the credibility of the bond’s environmental credentials. ... it is important that the new EU GBS label is seen as a credible standard and also attractive to issuers and investors.
The
Association for Financial Markets in Europe (AFME) has today published a
position paper in the context of the negotiations on the establishment
of an EU Green Bond Standard (GBS).
Oliver
Moullin, Managing Director for Sustainable Finance, said “AFME strongly
supports the establishment of a voluntary EU Green Bond Standard which
facilitates the further growth of the market and is an important source
of financing for the transition to Net Zero.”
“AFME
supports the proposals to provide investors with transparency,
comparability and confidence in the credibility of the bond’s
environmental credentials. In order to meet these objectives, it is
important that the new EU GBS label is seen as a credible standard and
also attractive to issuers and investors. Our recommendations to further
this goal include maintaining the voluntary nature of the standard,
providing for GBS designation to apply to maturity, maintaining the
scope of environmental sustainability, and avoiding creating different
standards for different types of issuer.”
AFME makes the following recommendations to support the establishment of an effective and successful label for EU Green Bonds:
-
It
is important to maintain the voluntary nature of the EU GBS standard to
avoid constraining the growth of the market while more investable
projects become available. The EU GBS was envisaged and designed as a
voluntary standard to support the growth in issuance and to develop deep
and liquid green bond markets in the EU. Making the GBS mandatory would
be likely to overly constrain issuance in the EU, given the limited
availability of taxonomy-aligned investments, in particular in the short
term.
-
Green
Bonds should maintain their designation until maturity following a
change to the Taxonomy criteria. For investors, the certainty that bonds
keep their label for the entire term is a necessary condition to build
investment portfolios.
-
EU
GBS should remain focused on environmental sustainability. Its
distinguishing feature is the link with the EU Taxonomy Regulation, a
dynamic and science-based classification system for environmentally
sustainable economic activities. It is therefore important that the
scope of the standard remains environmental sustainability. The GBS is
also not the appropriate regulation to establish requirements for
companies to develop transition plans, which is best dealt with through
regulation on sustainability disclosures.
-
Creating
different requirements across issuers and issuances should be avoided.
Whether or not any flexibility regarding Taxonomy-alignment is provided,
the criteria should be the same for all issuers, without distinctions
being made between sovereign and private issuers. A differential
treatment would threaten the proposal’s harmonisation objectives, adding
complexity for issuers and confusion for investors.
AFME
© AFME
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