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11 March 2024
Investors and all relevant parties involved in the value chain of ETFs1 must have an understanding of how the SFDR affects them, yet they also need to evaluate how the entire value chain is affected. This may be the only path towards achieving the actual goals of the Sustainable Finance and the Green Deal and helps to ensure a compliant environment, while avoiding greenwashing. Arriving at this understanding is no simple task for asset managers and some insights directly from the legal department of a global asset manager, like VanEck, on how to approach the current situation may help the practical implementation of a compliant and supportive set-up.
The status quo can be summarized as: Work in Progress.
Financial market participants are struggling to understand how to reach full compliance with the current framework, while also trying to address the major challenges of, and deficiencies in, the relevant regulations. Most importantly, they are waiting for clearly-defined directions from the European regulators and member state authorities.
It is important to find a way through the jungle of running, maintaining, and managing sustainable investment funds and implementing the related legal, operational and risk requirements. Not least because doing so involves investors, all internal departments of the asset manager and all other parties in the value chain of an investment fund and especially an ETF. Other parties include, in particular, wealth managers and other fund selectors, stock exchanges, brokers, authorized participants, index providers, custodians, depositaries, regulators, auditors and accountants.
Navigating through the ESG “shoal” of regulations and updates requires constant effort on the part of all those involved. After some years of dealing with the seemingly endless succession of ESG-related regulations and different approaches to the sustainable investments world, here are some experience-based considerations:
Complying with the ever-evolving regulatory landscape is crucial. Nonetheless, the accurate integration of sustainability factors into financial strategies must not be seen only as a compliance exercise, but also as a significant means of embracing the most important current global challenges, by efficiently enabling the allocation of financial resources into investments which promote positive Environmental, Social and Governance outcomes.
1 See Section “How to approach the current situation then?” below.
2 The European Commission formulated a proposal to regulate the transparency and integrity of ESG rating activities. The aim, as outlined in the proposal, is to introduce requirements related to ESG ratings and rules on the organization and conduct of ESG rating providers which will contribute to the protection of the investors and to prevent greenwashing (https://eur-lex.europa.eu/legalcontent/EN/TXT/HTML/?uri=CELEX:52023PC0314#:~:text=Member%20States%20do%20not%20regulate,ESG%20ratings%20market%20is%20global).
This is a marketing communication. Please refer to the prospectus of the UCITS and to the KID before making any final investment decisions.
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