Following an FCA review into ESG benchmarks, the regulator has published a 'Dear CEO' letter which sets out its concerns as to the quality of disclosures provided by benchmark administrators. The FCA noted that these benchmarks are poor, and do not provide sufficient information for users to understand the purpose, or indeed the underlying methodologies. Understandably, the FCA sees ESG benchmarks as integral in ensuring trust in the ESG product market and assisting the transition to net zero.
Insurers are increasingly utilising such benchmarks to implement their own ESG investment strategy, and meet their required sustainability goals, which may include a tilted investment strategy. As such, insurers will want to examine the findings of the review, to ensure that sufficient due diligence has been carried out on the benchmarks on which they rely to support their ESG decision-making processes.
The key areas summarised by the FCA which we consider relevant for insurers when assessing ESG benchmarks are as follows:
01
Benchmark statements should:
Insurers rely on the robustness and quality of information provided in the benchmark statements for the benchmarks they use. Given these findings, insurers must ensure that they have sufficient understanding of the benchmarks they rely on, and that this understanding is aligned with customer expectations, in particularly given new Consumer Duty requirements around consumer understanding.
02
Benchmark administrators have significant discretion in benchmark design and methodology, particularly with regards to use of ESG factors. Methodologies should:
Insurers may rely on benchmarks from multiple administrators, who may use different methodologies and therefore leading to different, and potentially incompatible outcomes. Insurers should ensure that where benchmarks from different administrators are used, the differences in methodology are understood, and that the resulting outcomes are in line with insurer and consumer expectations.
03
The FCA highlight the Low Carbon Benchmarks Regulation, which amended the UK BMR to introduce new categories of benchmarks and to provide for ESG-related disclosures for benchmarks, and the requirement for benchmark administrators to:
Insurers should familiarise themselves with the use of ESG factors in benchmarks they rely on, and that the choice and weighting of those factors is consistent with the information provided to consumers, as well as the insurer’s own expectations.
04
The FCA remind administrators that under Article 12 of the UK BMR, they are required to use robust and reliable methodology for determining a benchmark. Given all the FCA’s concerns, insurers should regularly review their use of ESG benchmarks, and may choose to limit reliance on certain benchmarks where they do not have sufficient comfort on the robustness and reliability of those benchmarks.
As insurer’s approach implementing their ESG strategies, it’s important to ensure that any benchmarks selected to monitor performance are adequately validated and understood. WTW has supported a range of clients in the insurance industry on this topic, and we would be happy to discuss these issues further, and how WTW can support in addressing them.