More Details Roll Out – Biden-Harris Administration’s “Whole of Government” Climate Policies & Actions
Posted on May 27, 2021 by Hank Boerner – Chair & Chief Strategist#About the Climate Crisis #Biden-Harris Administration #Cities & Sustainability #Climate Change #Corporate Citizenship #Corporate Responsibility #Corporate Sustainability #Crisis Management #Environmental Protection #EPA #ESG Issues #G&A Institute Resource Paper #Global Warming #Issue Management #President Joseph Biden #Public Sector Governance #Risk Management #States & Sustainability #The Corporate Citizen and Society #US EPA
June 2021 – This is a biggie!
by Hank Boerner – Chair & Chief Strategist, G&A Institute
The Biden-Harris Administration continues to roll out details of new or proposed or adjusted policies, rules, programs, Federal government financing and various actions to address what the leaders characterize as “the climate crisis”.
What we have now more details of the “Whole of Government” approach for these United States in addressing a widening range of climate change issues.
In most crisis situations for large organizations, dramatic changes-of-course are always necessary – new paths must be followed. And so we see…
President Joe Biden certainly being ambitious in navigating the way forward for the public sector in meeting the many climate change challenges (for actions by Federal, state, region, local governments).
President Biden signed yet another order for policy changes and various actions by the many agencies of the national government: “Executive Order #14030 on Climate-Related Financial Risk”.
The new EO #14030 sets out policy and actions to be taken by the whole of America’s public sector, a number of actions intended to be implemented in partnership with state & local governments and financial services sector institutions, and corporate and business interests…”designed to “better protect workers’ hard-earned savings, create good paying jobs, and position America to lead the global economy”.
EO #14030 builds on the framework for climate change policies and actions set out in President Biden’s January 27th action: “Tackling the Climate Crisis at Home and Abroad” (that is EO #14008).
This and other execute branch orders are designed to “…spur creation of well-paying jobs and achieve a net-zero emissions economy no later than 2050”.
The new EO is intended to “…bolster the resilience of financial institutions and rural and urban communities, States, Tribes, territories…by marshalling the creativity, courage and capital of the United States…and address the climate crisis and not exacerbate its causes to position the U.S. to lead the global economy to a more prosperous and sustainable future…”
The latest order addresses the need for greater financial transparency of the Financial Services Sector — addressing banking, insurance, fiduciary duties of those managing assets — as well as addressing the aspects of Federal financing for business, governments and institutions, and Federal government budgeting both short- and long-term.
For example, the Secretary of the Treasury as chair is instructed to work with the other members of the Financial Stability Oversight Council (FSOC) to assess climate-related risk to the stability of the U.S. financial system; to facilitate sharing of climate-related financial risk data among the members of FSOC; to publish a report in six months on actions / recommendations related to oversight of Financial Institutions.
FSOC members are the influential of Financial Services regulation and oversight: Treasury Department; the Office of Comptroller of the Currency (inside Treasury, overseeing national banks and foreign banks operating in the USA); chair of Securities & Exchange Commission; chair of the Federal Reserve System; head of FDIC; head of Commodity Futures Trading Commission; as well as a state insurance commissioner; a state banking commissioner; a state securities commissioner.
Addressed in the Executive Order:
- disclosure and reporting by publicly-traded entities;
- insurance industry “gaps” of climate-change issues that need to be addressed at Federal and state levels for private insurance;
- the protection of “worker savings and pensions” (with ERISA and the Department of Labor in focus);
- Federal level lending and underwriting, including financial aid, loans, grants of such agencies as the Department of Agriculture (farm aid);, and
- Housing and Urban Development (funneling funds to local and state agencies as well as Federal level financial transactions); and,
- Department of Veterans Affairs.
For companies providing services and products to the Federal government (largest buyer in the United States), there are numerous policy changes and actions to be taken by agencies that will affect many businesses in the U.S. and abroad.
For many companies this will mean much more disclosure on GHG emissions data, adoption of Science-based Emissions Reduction Targets, and disclosure of ESG policies and actions.
Federal agencies will be guided by policies to look more favorably on companies that bid on contracts [and have] more robust climate change policies and targets in place.
We are bringing here you news coverage and shared perspectives on the important new order and a link to the White House Executive Order in our Top Stories (below).
G&A Institute Perspective: This EO builds on standing orders of recent years by prior presidents and the orders issued “since Day One” of the Biden-Harris Administration to address what is characterized as the “climate crisis” by President Joe Biden in his campaigning and since taking office.
There are announcements of actions taken and new and proposed policy changes just about every day now, following out of cabinet departments and other agencies of the Federal government.
This is all of the “Whole of Government Approach” to addressing climate change challenges, short- and long-term.
We’re seeing both significant and subtle changes taking place throughout the public sector, at Federal, State and local levels, actions that will increase the pressure on the corporate sector and capital market players to start or to enhance their “sustainability journey” and greatly increase the flow of ESG data and information out to both shareholders and stakeholders/constituencies.
The disclosure and reporting practices of publicly-traded and privately owned/managed corporate entities will be addressed through a variety of Federal agencies, including of course the Securities & Exchange Commission.
SEC has an invitation out to individual and organizations to suggest ways to enhance reporting of the corporate sustainability journey (or lack thereof).
The instructions to Federal agencies in the latest EO will result in stepped up demands by Federal agencies for companies to disclosure more ESG information, such as in bidding on projects and contracts, or seeking financing of various types.
There are many more details in the G&A Institute’s Resource Paper, click here to download a copy.
Let our team know what questions you have!
- Biden Wants To Measure How Climate Change Impacts America’s Finances (Source: NPR)
- The Fact Sheet on the Executive Order – Addressing Climate Related Financial Risk – from the White House – May 20, 2021
- Commentary by Beveridge & Diamond PC in the National Law Review
And related information: The International Energy Agency (IEA) Report coverage:
- Momentous IEA report is a climate “reality check” for investors and companies (Source: Ceres)
- World energy agency warns that no gas-powered cars should be sold after 2035 (Source: The Hill)