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EY teams can help address ESG and sustainability issues, investor concerns and improve ESG performance. Find out how.
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In Canada:
- Building codes and regulations are changing to reflect decarbonization mandates.
- Investors are increasingly incentivized by their stakeholders to have a robust policy and strategy for managing sustainability, as well as climate risks and opportunities. This includes the governance of these issues and the implementation of risk assessment processes, monitoring KPIs and decarbonization and resilience plans.
- Banks and financial institutions will have to report on their climate profiles by the end of 2024 — including Scope 3 emissions related to financing or investments.
- Asset managers want to assess and reduce the climate impact of their portfolios, through both the assessment of emissions related to building projects and the implementation of net-zero building solutions.
- Insurers are more interested in how organizations — owners and tenants — assess the risk of being climate ready as the physical impacts of climate hazards like flooding, heatwaves and wildfires require more resilient buildings overall and replacement and repair costs soar.
- Influencers of all kinds are applying considerable pressure for the real estate industry to ramp up their efforts; that pressure is mounting year over year. This includes the influence of the Government of Canada through the Greening Government Strategy and net-zero energy-ready buildings mandate, as well as Treasury Board guidelines for procurement and embodied emissions.
- Sustainability considerations are actively making their way into voluntary standards such as LEED, BOMA BEST and WELL, commanding higher market prices and changing market expectations.
This environment is compounded by the fact that depending on where your ownership structure is based, your organization may already be subject to sustainability reporting requirements in jurisdictions outside Canada. And failing to comply abroad — or as regulations pass in Canada — will be costly. We’re not talking about one-time penalties, but rather the bigger picture.
As new policies are developed and implemented, the quantum of financial penalties becomes better understood. Risks to borrowing emerge as the Office of Superintendent of Financial Institutions (OSFI) has mandated financial institutions report on the carbon emissions of their portfolios. Stakeholder demands are becoming stronger and more impactful. For example, we’ve already seen a landmark climate lawsuit in Australia when a financial institution failed to protect retirement savings from climate change. We can’t underestimate the increasing demand, urgency and financial implications of failing to address the transition now.