Eakinomics: Disclosing
Climate Risks
The Hill paper has a nice report on the efforts by financial
regulators to establish a regime for disclosing climate risks: “After years
of pressure from environmentalists and advocates for tighter financial rules,
leaders at the Federal Reserve, Securities and Exchange Commission (SEC) and
Treasury Department are laying out how the companies they regulate will be
expected to respond to the climate-related risks facing the financial
sector.” This is an important development, but don’t expect this to be quick
or easy task.
At a conceptual level, the first step is not simply to acknowledge risks, but
to measure them in a consistent fashion over time, across space, and between
firms. Since the future path of climate change is uncertain, this requires a
scenario, or scenarios, that are standardized so that all firms are
evaluating the same circumstances.
The next step is to translate each scenario into its implications for markets
and technologies, physical risks, and reputational risks. For example, the
scenario may include sea-level rise. That rise might threaten physical
facilities of a financial firm, thereby affecting the value of assets on the
balance sheet. It might also threaten the firms’ financial assets, ranging
from mortgages that would be impaired to equity investments in businesses
located in the endangered geography.
Notice that if the financial firm discloses greater such risks than its
competitors, it will be valued less. That is an incentive to shift away from
lending or investing to those in the risky geography and shifting capital to
(climate) safer areas. The flip side of these decisions is reduced access to
capital, and reduced economic activity, in the areas most exposed to the
sea-level rise. In this way, disclosure can enhance adaptation to climate
change because financial incentives direct the economy to climate-safer areas
and activities.
The next – and harder – step would be to disclose not only risks from climate
change but also risks imposed by policies to address climate change. Again,
since the future path of U.S. climate change is not known, much less the
policies across the globe, this will require some scenarios. But the act of
constructing those scenarios will likely become a political football. Does a
government regulator want to risk including, e.g., a carbon tax of $50 per
ton in 2036? Or any other amount at some other date, even in the context of
a potential future
scenario firms might face?
Disclosure of climate risks can be valuable information about financial
firms, and can support the adaptation to minimize the impact of climate on
the economy. But it is an enormous task fraught with difficulty.
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