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Sustainability Reporting in capital markets: A Black Box? (ZIFO nr. 30) 2019/6.5
6.5 Pension funds as responsible investors in the United States
A. Duarte Correia, datum 20-11-2019
- Datum
20-11-2019
- Auteur
A. Duarte Correia
- JCDI
JCDI:ADS169084:1
- Vakgebied(en)
Financieel recht / Bank- en effectenrecht
Ondernemingsrecht / Jaarrekeningenrecht
Voetnoten
Voetnoten
European Social Investment Forum (Eurosif) defines SRI: “Socially Responsible Investment (SRI) combines investors’ financial objectives with their concerns about social, environmental, ethical (SEE) and corporate governance issues. Eurosif believes both are relevant to SRI. SRI is based on a growing awareness among investors, companies and governments about the impact that these risks may have on long-term issues ranging from sustainable development to long-term corporate performance. See, https://www.eurosif.org/sri.
See, Robert G. Eccles “The Risk And Opportunity For America’s Corporate Pension Plans”, 10 January 2017, Forbes. Available at: https://cdn.ampproject.org/ c/www.forbes.com/sites/bobeccles/2017/01/10/the-risk-andopportunity-for-americas-corporate-pension-plans/amp/.
See, https://www.ussif.org/files/SIF_Trends_16_Executive_Summary(1).pdf pp. 5, 12, 13. See also, https://www.ussif.org/files/Publications/USSIF_ImpactofSRI_FINAL.pdf pp. 4.
See, Liz Skinner, “Demand for Socially Responsible Investing Options in 401 (k)s on the Rise,” Investment News, November 14, 2014 Available at https://www. investmentnews.com/article/20141114/FREE/141119944/demand-for-socially-responsible-investingoptions-in-401-k-s-on-the as cited by https://www.ussif.org/files/ Publications/USSIF_ImpactofSRI_FINAL.pdf pp. 22.
See, Calvert Investments, New Survey: Responsible Investment Options Could Boost Retirement Plan Participation, Contribution Rates, Available at https://www. calvert.com/resources/advisor-resources/retirement-plan-advisors/ retirement-plan-survey as cited by https://www.ussif.org/files/Publications/USSIF_ImpactofSRI_FINAL.pdf pp. 22.
See, https://www.ussif.org/blog_home.asp?Display=60.
See, https://www.ussif.org/blog_home.asp?Display=60.
See, https://www.ussif.org/blog_home.asp?Display=60.
See, https://www.apapr.ro/images/BIBLIOTECA/reformageneralitati/azgi% 20usa%202008.pdf pp. 13, 17.
The most important DC plan is the 401(k) and similar plans, under which employees are allowed to make before-tax contributions from their salaries. See, https://www.oecd.org/finance/private-pensions/42575094.pdf pp. 298.
See, https://www.cii.org/files/events/2016/CII%20and%20US%20SIF% 20Trends%202016%20presentation.pdf pp. 10 and see also, https://www.ussif.org/ files/Trends/US%20SIF%202016%20Trends%20Overview.pdf pp. 2.
See, Robert G. Eccles “The Risk And Opportunity For America’s Corporate Pension Plans”, 10 January 2017, Forbes. Available at: https://cdn.ampproject.org/ c/www.forbes.com/sites/bobeccles/2017/01/10/the-risk-andopportunity-for-americas-corporate-pension-plans/amp/.
US corporate pension plans represented approximately 40% of the total $24 trillion of US retirement assets. See, Robert G. Eccles “The Risk And Opportunity For America’s Corporate Pension Plans”, 10 January 2017, Forbes. Available at: https://cdn.ampproject.org/c/www.forbes.com/sites/bobeccles/2017/01/10/the-risk- and-opportunity-for-americas-corporate-pension-plans/amp/.
See, Robert G. Eccles “The Risk And Opportunity For America’s Corporate Pension Plans”, 10 January 2017, Forbes. Available at: https://cdn.ampproject.org/ c/www.forbes.com/sites/bobeccles/2017/01/10/the-risk-andopportunity-for-americas-corporate-pension-plans/amp/.
See, https://www.apapr.ro/images/BIBLIOTECA/reformageneralitati/azgi% 20usa%202008.pdf pp. 13.
See, https://www.apapr.ro/images/BIBLIOTECA/reformageneralitati/azgi% 20usa%202008.pdf pp. 13.
See, www.dol.gov/ebsa.
See, in particular Section 404, which sets the general standards of fiduciary conduct in the US. E.g. “solely in the interest of plan participants and beneficiaries”; “With the care, skill, prudence and diligence under the circumstances then prevailing that a prudent man acting in a like capacity and familiar with such matters would use in the conduct of an enterprise of a like character with like aims”. See, also https://www.oecd.org/finance/private-pensions/2763540.pdf pp. 11.
For example, the limitation of 10% on a pension plan’s acquisition and holding of employer securities and real property. See, https://www.oecd.org/finance/ private-pensions/2763540.pdf pp. 11, 12.
Interpretive Bulletin Relating to the Fiduciary Standard under ERISA in Considering Economically Targeted Investments–also known as the ETI Bulletin as cited by https://corpgov.law.harvard.edu/2016/11/01/esg-and-fiduciary-duties-a-roadmap-for-the-us-capital-market/.
In February 2016, the PRI released guidance by Morgan, Lewis and Bockius and Groom Law Group on fiduciary duty in the US about the content of the DOL’s Bulletin. See, https://www.unpri.org/news/pri-presents-legal-perspectives-on-addressing-esg-factors-under-erisa.
See, Department of Labor, Employee Benefits Security Administration, Interpretive Bulletin Relating to the Fiduciary Standard under ERISA in Considering Economically Targeted Investments, October 26, 2015. Available at https://www.federalregister.gov/articles/2015/10/26/2015-27146/interpretive-bulletin-relating-to-the-fiduciary-standard-under-erisa-in-considering-economically.
Sarr, Mamadou-Abou, Kochetygova, Julia, “The Push and Pull of ESG Regulation”, Nothern Trust Asset Mangement, 2019.
Also in line with this thought, see, https://www.groom.com/wp-content/uploads/2018/05/ESGs_Perspectives _of_the_OECD_and_New_US_Guidance.pdf and see, https://www.plansponsor.com/in-depth/2019-banner-year-esg-erisa-plans/.
See, https://www.oecd.org/daf/fin/private-pensions/2015-Large-Pension-Funds-Survey.pdf (table 1 on pp. 8).
The California economy alone - separate of the US - is among the 10 largest economies in the world.
CalPERS released the results of their PRI Assessment Report, in which received an A+ for the 2015 Overarching Approach Module. A+ is the highest grade a signatory can receive under the PRI assessment scheme. See, https://www.calpers.ca.gov/page/newsroom/calpers-news/2015/2015-pri-assessment-report-results.
See also, “Greening Institutional Investment”, 2015, pp. 8. Available at: https://www.google.nl/url?sa=t&rct=j& q=&esrc=s&source=web&cd=10&cad=rja&uact=8&ved=0ahUKEwio8_KmgL_QAhWrI8AKHXf-AMUQFghq MAk&url=https%3A%2F%2Fwww.unpri.org%2Fdownload_report% 2F22444&usg=AFQjCNE33ULvAUu3rl 242ooRLfRlW7TcMA&bvm=bv.139782543,d.ZGg.
See the five-year plan in detail at: https://www.calpers.ca.gov/docs/board-agendas/201608/invest/item05a-01.pdf.
See CalPERS beliefs (in particular, pension belief 7 on pp. 2, investment belief 4 on pp. 6 and the sub-beliefs on pp. 6) at https://www.calpers.ca.gov/docs/ forms-publications/calpers-beliefs.pdf.
See, “Greening Institutional Investment”, 2015, pp. 11. Available at: https:// www.google.nl/url?sa=t&rct=j&q=&esrc=s&source=web&cd=10&cad=rja&uact=8&ved=0ahUKEwio8_KmgL_QAhWrI8AKHXf-AMUQFghqMAk&url=https%3A%2F%2Fwww.unpri.org%2Fdownload_report%2F22444&usg=AFQjCNE33ULvAUu3rl242ooRLfRlW7TcMA&bvm=bv.139782543,d.ZGg.
See, Koedijk, Kees C. G. and Slager, Alfred and Bauer, Rob, Investment Beliefs that Matter: New Insights into the Value Drivers of Pension Funds (May 8, 2010). Available at SSRN: https://ssrn.com/abstract=1603262 or https://dx.doi.org/10.2139/ssrn.1603262 See also, https://www.ft.com/content/e2f97a1e-6503-11df-b648-00144feab49a.
See, Koedijk, Kees C. G. and Slager, Alfred and Bauer, Rob, Investment Beliefs that Matter: New Insights into the Value Drivers of Pension Funds (May 8, 2010). Available at SSRN: https://ssrn.com/abstract=1603262 or https://dx.doi.org/10.2139/ssrn.1603262 See also, https://www.ft.com/content/ e2f97a1e-6503-11df-b648-00144feab49a pp. 10.
See, Koedijk, Kees C. G. and Slager, Alfred and Bauer, Rob, Investment Beliefs that Matter: New Insights into the Value Drivers of Pension Funds (May 8, 2010). Available at SSRN: https://ssrn.com/abstract=1603262 or https://dx.doi.org/10.2139/ssrn.1603262 See also, https://www.ft.com/content/ e2f97a1e-6503-11df-b648-00144feab49a pp. 10.
See, Koedijk, Kees C. G. and Slager, Alfred and Bauer, Rob, Investment Beliefs that Matter: New Insights into the Value Drivers of Pension Funds (May 8, 2010). Available at SSRN: https://ssrn.com/abstract=1603262 or https://dx.doi.org/10.2139/ssrn.1603262 See also, https://www.ft.com/content/ e2f97a1e-6503-11df-b648-00144feab49a pp. 10.
See, Koedijk, Kees C. G. and Slager, Alfred and Bauer, Rob, Investment Beliefs that Matter: New Insights into the Value Drivers of Pension Funds (May 8, 2010). Available at SSRN: https://ssrn.com/abstract=1603262 or https://dx.doi.org/10.2139/ssrn.1603262 See also, https://www.ft.com/content/ e2f97a1e-6503-11df-b648-00144feab49a pp. 12.
See, CFA Institute, Environmental, Social, and Governance Factors at Listed Companies: A Manual for Investors (2008). Available at https://www.cfapubs.org/ toc/ccb/2008/2008/2.
See, CFA Institute, Environmental, Social, and Governance Factors at Listed Companies: A Manual for Investors (2008). Available at https://www.cfapubs.org/ toc/ccb/2008/2008/2.
See, CFA Institute, Environmental, Social, and Governance Issues in Investing: A Guide for Investment Professionals (2015). Available at https://www.cfapubs. org/doi/pdf/10.2469/ccb.v2015.n11.1.
Client demand is the most cited motivation for ESG incorporation by money managers (US SIF Foundation, 2016). See, https://www.ussif.org/files/SIF_Trends_16_Executive_Summary(1).pdf pp. 5, 15.
The US Social Investment Forum (SIF) defines Socially Responsible Investment (SRI) as “Integrating personal values and societal concerns with investment decisions.” This definition considers the interests of the investors and the interests of society at large.”12Among the first SRI practices, were the exclusion of companies in the business of tobacco, alcohol, or gambling, from US investors’ portfolios in the 1900s.3 At the time the exclusions had a religious motive.4
Responsible investment is growing in the US responsible investment’ market accounted for $8,72 trillion of assets under management, representing a 33% increase since 20145 when more than $6.57 trillion in assets were under management.6 Sustainable investment options are growing among retirement plans both in the public and private sector. In 2011 the US SIF together with Mercer found that 14% of the 421 defined contribution plan sponsors surveyed offered one or more SRI options. Social (k), a provider of ESG-screened retirement investment options, estimated that at the end of 2014, 15% to 20% of 401(k) plans were offering SRI options.78According to Calvert Investments 2015 survey of retirement plan participants on SRI 87% of respondents want investment options that are aligned with their values.9
However, SRI options do not exist for federal employees.10 This situation might change in the future, as a result of engagement by the US SIF, the Federal Retirement Thrift Investment Board agreed to develop a mutual fund window option for the 4.7 million federal employees and military personnel served by the Thrift Savings Plan.11 The Thrift Savings Plan is the US largest defined contribution plan and this decision may open the way SRI options.12
In terms of responsible investment practices the US pension system was ranked in the 13th position of the 2016 MMGPI.13 It was classified by the MMGPI as a C-grade system “A system that has some good features, but also has major risks and/or shortcomings that should be addressed. Without these improvements, its efficacy and/or long-term sustainability can be questioned.”14
The US pension system is divided in three pillars. The first pillar comprises the social security system which provides the basic retirement benefits, it is based on a progressive benefit formula based on lifetime earnings; the second pillar is formed by the occupational pension plans. It is an employer-sponsored pension plan, which provides a significant increase in the total pension. The third pillar is the voluntary private pension system, in which employees can deposit retirement savings into an Individual Retirement Account.15 Defined contribution plans are the most common among the occupational pensions,16 covering around 43% of the workforce, while defined benefit plan covers only 20% of the private sector work force.17
Similarly to the scenario of pension funds responsible investment strategies, including in Europe, in the US the trend is towards growing recognition that there is a need for enhanced disclosure of material ESG information. Among others, the lack of standardization of sustainability reporting increases costs and limits the usefulness of the information disclosed to investors. In this regard, the UN- supported PRI has recommended the update of the SEC Regulation S-K to ensure high quality disclosure of ESG factors.18 More guidance on ESG risk integration is needed.19 Another significant trend found by the US SIF in 2016, is the growing client demand, 85% of the money managers inquired, pointed out client demand as the top reason for incorporating ESG factors, and 64% reported to be their fiduciary duty.20
In January 2017, Prof. Robert Eccles referred to the current different levels of commitment to ESG integration practices between companies and their pension plans.2122Although companies are increasingly integrating ESG into their business practices and they are also increasingly demanding higher responsible investment practices from investors, their pension funds are not yet following their companies’ example, lagging behind (Gavin Power, Deputy Director of the UN Global Compact, as cited by Prof. Robert Eccles).23
a) Regulatory framework
The most important pieces of pension legislation in the US are the following. The Employee Retirement Income Security Act of 1974 (ERISA) is the most important law for occupational pension plans in the US.24 The ERISA defines minimum legal standards for voluntary pension plans in the private industry, including rules on reporting, disclosure, participation, funding, fiduciary duties, administration and enforcement.25 In 1978 the Revenue Act established the 401 (k) plans.26 Then in 2001 the Economic Growth and Tax Relief Reconciliation Act is an income tax cut law, it lowered tax rates and simplified retirement plans, as the IRA 401 (k) plans.2728
Later in 2006, the Pension Protection Act of 2006 (PPA) brought the most significant changes to occupational pension plans since 1974. The Pension Protection Act’s main contributions were changes on the funding of defined benefit pension plans, however, it also influenced the operation of defined contribution plans.29
The Social Security Administration is responsible for the administration of the public pension system. The Department of Labor regulates and supervises the occupational pension system.30 The Internal Revenue Service administers the Internal Revenue Code, namely the eligibility, vesting, and funding requirements under the ERISA. The Employee Benefits Security Administration is part of the Department of Labor and it has the responsibility for ensuring the enforcement of the ERISA’s standards covering reporting, disclosure, and fiduciary matters. It is part of the Department of Labor.31
In the US, the prudent person rule is set forth by the Employee Retirement Income Security Act of 1974 (“ERISA”) on Section 404.3233It is part of the judiciary responsibilities to define, interpret and apply the rule.34 However, characterized by solely adopting the prudent person rule, pension funds also have to respect quantitative limitations to their investments.3536Under the prudent person rule, fiduciaries are required to perform their duties “Solely in the interest of plan participants and beneficiaries” and, despite encouraged by the US Department of Labor, they are not required to have an investment policy.37
The Department of Labor has clarified, through the ESG Bulletin, that ESG factors can be part of the “primary analysis” of prudent investment decision-making by the ERISA fiduciaries.38 Under the US law, on Section 404 of the ERISA, the Prudent Person Rule is stated as follows.39
“A fiduciary must discharge his or her duties with the care, skill, prudence and diligence that a prudent person acting in a like capacity would use in the conduct of an enterprise of like character and aims.”
In the US, the discussion of whether there is a conflict of interest between the fiduciary duty and responsible investment is also debated. This debate seems to also be influenced by politics. Given the impact of the discussion nationally but also globally, the US regulators have been compelled to evaluate the implications of the ERISA on the potential conflict between responsible investment and fiduciary duty.4041The Department of Labor (DOL) has the responsibility of interpret and enforce the ERISA’s provisions.42 The ERISA itself did not change since 1974, when it was issued but the DOL has published several bulletins for guidance. In October 2008 the DOL had issued the Labor Bulletin on Economically Targeted Investments (29 CFR 2509.08-1). This Bulletin discouraged investors from considering environmental and social risks and opportunities in investee companies. In October 2015, the US Department of Labor rescinded the bulletin published in 2008 and, in replacement of the latter, published a new Interpretive Bulletin.43 The interpretative bulletin clearly states, “fiduciaries need not treat commercially reasonable investments as inherently suspect or in need of special scrutiny merely because they take into consideration environmental, social, or other such factors.”4445This measure came to reinforce the ERISA leaving no doubt that fiduciaries may incorporate “ESG-related tools, metrics and analyses to evaluate an investment’s risk or return or choose among otherwise equivalent investments.”46 This is a landmark initiative as privately retirement plans in the US are obliged to follow the fiduciary responsibility provisions of the ERISA in their investment decisions.47 However, in April 2018, the DOL issued a Field Assistance Bulletin updating previous DOL Interpretative Bulletins (namely the one issued in 2015). This Field Assistance Bulletin from 2018 suggests that sustainable investments should be balanced with economic benefits.48 This update may raise the question of whether an ERISA fiduciary may consider ESG factors when evaluating investments for employee benefit plans, voting proxies and exercising shareholder rights.49 This development may, in my opinion, send-out a confusing message to investors. Although this new bulletin from 2018 may be seen as more restrictive, its impact is not yet known.50 Given the threat of climate change, I believe the ESG debate and ESG risk management is here to stay, and besides we should not discard the possibility of a change of direction when there is another presidential shift.51
b) The United States Public Employee Pension Fund (CalPERS)
The CalPERS is the US Public Employee Pension Fund, a health care services provider and insurer located in the state of California, established in 1932 by state law.52 With USD $301,9 billion of assets under management in 2015, €270 billion in 2016.53 It is the largest state pension fund in the US.5455 Given its asset size it is also one of the largest pension funds in the world. In terms of responsible investment, the CalPERS is in the forefront of ESG best practices, it is active in the field, cooperates with organizations such as the Investor Network on Climate Risk (which is under Ceres’ management), the CDP (former Carbon Disclosure Project) and Water Disclosure Project.56 It is also a signatory of the PRI.5758 In 2016 CalPERS adopted a five-year ESG strategic plan,59 which considers to be “the next stage of evolution of CalPERS’ work on sustainable investing”.60 Among others, the five-year plan includes, benchmark and track the progress of integrated reporting globally,61 manage climate risk and opportunity by engaging 80 Montreal Pledge companies62 and Strengthen understanding of ESG factors relevant to risk and return specific to CalPERS’ investment objectives.63 CalPERS has key partnerships with organizations including, CERES, International Corporate Governance Network, UN-supported Principles for Responsible Investment, Sustainability Accounting Standards Board and UN Global Compact.64
Showing its commitment to responsible investment, as part of its investment policy, CalPERS has developed investment beliefs to manage investments and has included ESG concerns.65666768See below.
Pension Belief 7
Retirement system decisions must give precedence to the fiduciary duty owed to members but should also consider the interests of other stakeholders.
Investment Belief 4
Long-term value creation requires effective management of three forms of capital: financial, physical and human
Sub-beliefs:
Governance is the primary tool to align interests between CalPERS and managers of its capital, including investee companies and external managers
Strong governance, along with effective management of environmental and human capital factors, increases the likelihood that companies will perform over the long-term and manage risk effectively
CalPERS may engage investee companies and external managers on their governance and sustainability issues, including:
Governance practices, including but not limited to alignment of interests
Risk management practices
Human capital practices, including but not limited to fair labor practices, health and safety, responsible contracting and diversity
Environmental practices, including but not limited to climate change and natural resource availability
Research conducted by Kees Koedijk (Tilburg University, CEPR) & Alfred Slager (Tilburg University, Stork Pension Fund), and Rob Bauer (Maastricht University, Netspar) has found that “the beliefs to which a fund adheres affect its success; the thorough consideration of the relationships between beliefs is equally important.”69 Among others, Koedijk, Slager and Bauer (2010) found it “makes sense to explore which strategic investment choices have been made and why”;70 formulating investment beliefs benefits both small and large pension funds.71 These authors define investment beliefs as “assumptions regarding how to view the financial markets and regarding what works best for the organization.”72 Although investment beliefs are implicit in every investment decision or strategy, they are not always made public (Raymond, 2008).73
c) Relevant organizations for promoting sustainability and responsible investment reporting in the United States
Given the growing recognition of the relevance of responsible investment and long- term value creation in the US, more organizations active in this field have emerged.74 One example is the US Social Investment Forum (SIF) Foundation’s Center for Sustainable Investment Education, which since 2013, has been active in providing further guidance and education to investment professionals. E.g. the introductory course for investment professionals on the Fundamentals of Sustainable and Responsible Investment. The US SIF often cooperates with the CFA Institute, a global non-profit association of investment professionals, it sets standards for financial professional excellence, providing different programs and giving the Chartered Financial Analyst (CFA) designation. The Institute has taken interest in ESG education and has relevant publications in the subject. E.g. Environmental, Social, and Governance Factors at Listed Companies: A Manual for Investors, published in 2008, giving guidance on ESG factors and fiduciary responsibilities;75 more recently in 2015, published Environmental, Social, and Governance Issues in Investing: A Guide for Investment Professionals.76
Also organizations active globally, such as the CDP, Global Reporting Initiative, International Integrated Reporting Council, Sustainability Accounting Standards Board, UN Global Compact and UN-supported Principles for Responsible Investment have been active fostering responsible investment best practices and dialogue among the responsible investment chain. These organizations offer a wide range of guidance principles, key performance indicators, workshops, courses and conferences on responsible investment and sustainability reporting. Their work is key for raising awareness, developing knowledge, developing soft law national and international agreements and contributes to policy making.77
Finally, in 2016, the UN-supported Principles for Responsible Investment, the UN Environment Programme – Finance Initiative and the Generation Foundation launched a three-year project following-up to the publication of the Fiduciary Duty in the 21st Century Stakeholder Feedback in 2015.78 Part of this project is the publication of roadmaps on policy changes on ESG risk integration in investment practices across eight countries including the US. In the US roadmap (2016) UN- supported Principles for Responsible Investment and Generation Foundation have acknowledged that in the US, ESG integration is growing rapidly given rising client demand for ESG services (US SIF Foundation, 2016);79 there is a need for comparable and material ESG disclosure by investee companies; ESG risk integration by investors in their responsible investment processes and along the responsible investment chain; and “well-framed” regulatory guidance could foster the improvement of governance structures and investment processes.