Remarks By FDIC Acting Chairman Martin J. Gruenberg On The American Bankers Association Annual Convention "The Financial Risks Of Climate Change"
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I particularly want to express my appreciation to
I would like to share with you some thoughts this morning on a topic that has received considerable attention and is the source of some concern within the banking industry, particularly with smaller institutions - the financial risks associated with climate change, and the impact they may have on the financial system and financial regulation.
Before I begin, there are two points that I want to make clear:
First, the
Second, the
There are three parts to this speech. First, a general discussion of the financial risks of climate change. Second, a section defining with some specificity climate-related financial risk. And third, a discussion of what the
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Climate Change is a Risk to the Financial System
The financial system has always had severe weather events to contend with and, thus far, the banking industry has handled these events well. Agricultural banks know well the effects that drought conditions can have on farming communities; banks in the west understand the impacts of wildfires; and coastal banks have long responded to the annual threat of tropical storms and hurricanes.
However, changing climate conditions are bringing with them challenging trends and events, including rising sea levels, increases in the frequency and severity of extreme weather events, and other natural disasters./1
These trends challenge the future resiliency of the financial system and, in some circumstances, may pose safety and soundness risks to individual banks. It is the goal of our work on climate-related financial risk to ensure that the financial system continues to remain resilient despite these rising risks.
Historically, we have viewed financial crises as stemming from developments in the economy or the financial system. In
However, we have learned from the pandemic that exogenous shocks can have a profound impact on the economy and financial system. In 2020, the
There is broad consensus among financial regulatory bodies, both domestically and abroad, that the effects of climate change and the transition to reduced reliance on carbon-emitting sources of energy present unique and significant economic and financial risks, and, therefore, an emerging risk to the financial system and the safety and soundness of financial institutions.
The Financial Stability Board (FSB) of the G-20 countries has warned that climate-related risks may also have a profound impact on the stability of the global financial system. In 2020, the FSB stated that "climate-related risks may also affect how the global financial system responds to shocks" and could "amplify credit, liquidity and counterparty risks and challenge financial risk management in ways that are hard to predict."/3
Last October, the FSOC issued a public report that identified climate change as an emerging threat to the
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Defining Climate-Related Financial Risk
Financial institutions are likely to be affected by both the physical risks and transition risks associated with climate change. Together these are generally referred to as climate-related financial risks.
Physical Risks
Physical risks generally refer to the harm to people and property arising from acute, climate-related events, such as hurricanes, wildfires, floods, and heatwaves, as well as chronic shifts in the climate, including higher average temperatures, changes in precipitation patterns, sea level rise, and ocean acidification.
Transition risks generally refer to stresses to certain financial institutions or sectors arising from the shifts in public investment, consumer and business preference, or technologies associated with a transition toward reduced carbon reliance.
While physical and transition risks are separate and distinct risks faced by the financial system, both may materially increase the risks posed to a financial institution's financial condition.
For example, acute physical risks, such as flooding, hurricanes, wildfires, and droughts, may result in sudden, significant, and recurring damage to properties securing exposures held by financial institutions or may otherwise disrupt the operations of their business clients. Some of these properties may be properties that financial institutions currently consider to be outside of flood plains or in areas less prone to this type of damage.
Longer-term physical risks, such as rising average temperatures and sea levels may increase the risk to property values and drive migration patterns, which may result in detrimental impacts to household wealth, corporate profitably, local economies and municipalities./5 Further, growing physical risk impacts, including their economic costs, may also have an increasing influence on behavior as individuals and businesses prioritize geographic areas less exposed to physical risks./6
While current insurance policies may cover some or all of the loss associated with many severe weather events, policies may over time become more expensive or unavailable to cover losses for a particular geographic area or business activity, particularly if faced with increasing severity and frequency of severe weather events./7
Additionally, while the
Transition Risks
In addition to physical risks, transition risks may also pose material risks to financial institutions' financial condition in several ways.
Public or private spending designed to reduce carbon emissions or mitigate the risks of climate change, technological advances, and changes in investor and public preferences may all contribute to and accelerate a transition to a lower-carbon economy./8
Advancements in technology have the potential to accelerate the development of lower-carbon energy sources, for example, if investor and public preferences and behavior results in a shift towards more energy efficient assets and companies earlier than otherwise expected.
In each case, certain companies or sectors may face increased competition or lowered revenue, resulting in reduced profitably and ability to repay obligations, as well as reductions in the value for certain assets that are less productive in a lower-carbon environment.
Increasing marketplace demand for the evaluation and disclosure of climate-related financial risks may influence investment decisions made by broader market participants, or result in a shift in market, consumer, or investor preferences that may trigger material decreases in the value of certain assets or groups of assets on their balance sheet and contribute to broader volatility of portfolio performance.
Further, climate-related financial risks are increasingly reflected within the assessment of credit quality of corporate, sovereign, and municipal exposures, as credit rating agencies and investor due diligence processes begin to reflect these risks in investment decisions.
It is clear that climate-related financial risk poses a significant near and long-term risk to the
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Climate Related Financial Risk and the
Understanding and addressing the financial risks that climate change poses to financial institutions and the financial system is a top priority of the
We need to foster a better understanding of how the physical and transitional risks of climate change manifest as risks to the financial system, individual financial institutions, and the communities they serve. We also need more and better data to more fully understand the exposures to these risks and for the development of methodologies to analyze them. But, importantly, we need more and better dialogue with our counterparts in the
A Cross-Disciplinary, Interagency Approach with International Engagement
The
This year, we established an internal, cross-disciplinary working group to assess the safety and soundness and financial stability considerations associated with climate-related financial risk and to develop an agency-wide understanding of climate-related financial risk in all its forms.
The
Further, as climate change is an international problem, the
Proposed Statement of Principles for Climate-Related Financial Risk Management
Even though we may be in the early stages of addressing climate-related financial risk, regulators need to work with the industry now to support financial institutions as they develop plans to identify, monitor, and manage the risks posed by climate change. We must do this in a manner that is flexible enough to allow for change as knowledge is gained, data are developed, and new methodologies and tools are explored.
Consistent with this, the
The principles take a risk-based approach, and are consistent with the risk management framework described in existing
The principles are intended to support efforts by financial institutions to focus on the key aspects of climate-related financial risk management. The request for comment includes general, high-level principles for incorporating climate-related financial risk into an institution's governance and risk management practices. The principles also address how climate-related financial risks could impact a financial institution's assessment of traditional risk areas, such as credit and other financial and nonfinancial risks, with respect to climate-related financial risk./10
Additionally, the draft principles are intended to support the use of scenario analysis as an emerging and important approach for identifying, measuring, and managing climate-related financial risk. Climate-related scenario analysis generally refers to the methods used to conduct forward-looking assessments of the potential impact of changes in the economy, financial system, or distribution of physical hazards resulting from climate-related risks./11 Climate-related scenario analyses should be designed and used by institutions for building knowledge and capabilities associated with climate-related financial risk management, as well as for better understanding gaps in methodologies and data. Further, scenario analysis is intended for the large institutions, particularly for those that cross multiple communities, and is not intended for smaller institutions.
To be clear, I view scenario analysis as an exploratory risk management tool designed to better understand the range of climate-related financial risks that may impact a large, individual institution and the financial system as a whole. Scenario analysis is not a stress testing exercise and will not have regulatory capital implications.
The proposed Statement of Principles represents an initial step toward the promotion of a consistent understanding of the effective management of climate-related financial risks. The
Banking Industry Engagement
I want to reiterate that our mandate is focused on effective risk management practices, which should be appropriate to the size of the institution and the nature, scope, and risk of its activities. Credit and capital allocation decisions are those of the institution. When considering climate-related financial risk as part of these business decisions, whether directly or indirectly, institutions should do so in a risk-based manner.
I described earlier in my remarks some ways in which climate-related financial risk may impact financial institutions. Climate-related financial risk presents unique, serious, and unknown risks to all banks of all sizes, regardless of complexity or business model. Some banks may have more concentrated exposures, regardless of asset size, and, for such institutions, the impact of climate-related financial risk may be greater.
We recognize and acknowledge that current and past strategies used by smaller and mid-size institutions for managing climate-related financial risk have been successful so far, and undertaken with limited resources. Some strategies include consulting weather, agricultural, and other non-financial data, managing exposures within flood plains, and assessing the impact of extreme weather events. Further, community banks, by their nature, have a wealth of first-hand perspectives and experiences from providing essential banking and financial services to the local communities they serve. This also has included in times of great need, such as after an extreme weather event or natural disaster.
But we also should recognize that climate change will increase the prevalence of climate-related financial risk. Overreliance on insurance and government support presents additional risks, as these may not be able to compensate for losses to the same extent as they have in the past, or could become more expensive. This may stress the ability for smaller institutions to mitigate climate-related financial risk.
We need to explore new ways in managing these risks, particularly in light of the unique and important role that smaller and mid-size banks play in their communities. The risk management landscape is shifting due to the characteristics of climate change, which could potentially impact the effectiveness of past mitigation strategies.
However, heightened exposures and increased uncertainty must not result in unreasonable expectations on the part of regulators. We understand that smaller and mid-size banks have limited resources relative to larger banks. Similar to other risk areas, supervisory expectations are tailored based on size, complexity and business operations - we do not expect a community bank to manage credit risk the same way as the largest institution and we would not expect the same for climate-related financial risk. We have the benefit of leveraging experiences of community banks for developing tailored, flexible, and cost-effective risk management approaches.
We recognize the desire from many institutions for further guidance and clear supervisory expectations in the future regarding the management of climate-related financial risk. The
In the near term, banks, including community and mid-size banks, should seek to better understand and consider their own unique climate-related financial risk and how it may impact them.
As an initial step, boards of directors and senior management may wish to seek a better understanding about how climate change and climate-related financial risk are impacting the institution's business, customers, and communities, and how this risk may evolve over time./12
Banks may wish to consider developing appropriate sound governance frameworks and processes that have the capability for incorporating the assessment and management of climate-related financial risk as appropriate to their size, complexity, and risk profile. The
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Conclusion
In conclusion, the
I want to stress that we are in the beginning and that the
Importantly, the
However, as I have previously stated, we have a compelling obligation to engage with climate change as a financial risk to the safety and soundness of banks and the stability of the financial system.
We cannot escape climate change, its risk, or its uncertainties, but we, as leaders, can prepare for it. And we have a responsibility and an obligation to our organizations and our communities to do so.
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Footnotes:
1/ e.g., the Sixth Assessment Report by the
In 2021 alone,
Through the first half of 2022,
2/ FSOC 2020 Annual Report at 167, available at https://home.treasury.gov/system/files/261/FSOC2020AnnualReport.pdf.
3/ Financial Stability Board (2020). The Implications of Climate Change for Financial Stability. https://www.fsb.org/wp-content/uploads/P231120.pdf
4/ FSOC Report on Climate-Related Financial Risk,
5/ e.g. See www.whitehouse.gov, Report on the impact of climate change on migration (
6/
7/
8/ Reductions in carbon emissions are often considered through a "carbon equivalence amount," which measures the emissions of various greenhouse gases in terms of their equivalent amount of carbon dioxide with the same global warming potential. For example, see Equation A-1 in 40 CFR Part 98.
9/ The
10/ See Statement of Principles for Climate-Related Financial Risk Management for Large Financial Institutions, available at: https://www.fdic.gov/news/board-matters/2022/2022-03-29-notational-fr.pdf
11/ Ibid.
12/ e.g. See remarks by Acting Comptroller of the Currency, Michael Hsu "Five Climate Questions Every Bank Board Should Ask" https://www.occ.gov/news-issuances/speeches/2021/pub-speech-2021-116.pdf
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Original text here: https://www.fdic.gov/news/speeches/2022/spoct0322.html
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