Charting the course: sustainability in fund finance through LMA's guidelines
The impact on the margins or other direct economic effects may still be debated, but surely we all agree that the pressure coming from the regulator and investors is not going away. For example, SFDR is a set of EU regulations that require asset managers and other financial market participants to publicly disclose ESG information around their investment decisions and financial products, whether or not they are listed as sustainable.
Still, people long for concrete actions in the ESG jungle, not more regulation which keeps on coming our way in any case. While the interest in sustainability-linked loans is increasing also in fund finance, there are still many obstacles to accessing such funding compared to investment grade financing and other sophisticated structures, for example. In overall, the same Sustainability-Linked Loan Principles or the SLLP (published by LMA) also apply to fund finance, but LMA seeks to “provide practical guidance on the application of the SLLP in fund finance transactions by identifying challenges and considerations that may arise and discussing how the SLLP can be best utilized in the fund finance market in a manner consistent with the overarching goals of the SLLP”.
No magic tricks here, but you just don’t want to be late for this party. It is important to understand which KPIs are chosen and how, how to collect data and on which level in the fund structure (sponsor / borrower / investment), but still doing all this by meeting the requirements set by the SLLP.
Here are a few take-aways from the LMA guidelines and real-life examples of the key challenges we have identified so far, with some brief solutions to go with them:
Try to find the ‘can do’ attitude in all this: this is not a beauty contest. The regulatory shower and the pressure from the financial institutions and other lenders getting the same push from their regulators are not going anywhere. Be active, learn from each other and just keep on doing things instead of letting the regulation eat you for breakfast.
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Remember that various ESG service providers can help the sponsor’s and funds’ inhouse team to tackle these issues if they don’t have their own ESG specialists to manage the pressure coming in from both investors and regulators. It is great to see more ambitious SFDR compliant article 9 funds being established (even though the reporting duties are considered heavy compared to e.g. article 8 or 8+ funds), and investors’ monies finding their way into sustainable funds, but we badly need processes being implemented in every company and most importantly even in the not-so-green companies, where the potential and impact are at the greatest.
Want to know more? Contact:
Partner Mariella B?de-Landell, [email protected]
Associate Leo Pajunen, [email protected]?
https://www.dhirubhai.net/posts/loanmarketassociation_lma-loanmarkets-sustainablefinance-activity-7170821368857489410-5k3U