The Manila Times

SEC issues guidelines on the Philippine Sustainabl­e Finance Taxonomy

- KELVIN LESTER LEE Kelvin Lester K. Lee is a commission­er of the Securities and Exchange Commission (SEC). The views and opinions stated herein are his own. You may email your comments and questions to oclee@sec.gov.ph.

ON Feb. 23, 2024, the Securities and Exchange Commission (SEC) issued Memorandum Circular 5, Series of 2024, or the guidelines on the Philippine Sustainabl­e Finance Taxonomy as part of efforts to promote environmen­tally and socially sustainabl­e economic activities.

Formulated under the auspices of the Financial Sector Forum (FSF) composed of the Bangko Sentral ng Pilipinas, the SEC, the Insurance Commission, and the Philippine Deposit Insurance Corp., the Philippine Sustainabl­e Finance Taxonomy Guidelines (SFTG) provide a framework for the determinat­ion of the environmen­tal and social sustainabi­lity of economic activities and guidance for stakeholde­rs in making well-informed investment and financing choices.

The SFTG offers a simplified approach for the assessment of micro, small and medium enterprise­s’ (MSMEs) activity for financing to ensure that MSMEs are not unduly excluded from participat­ing in sustainabl­e finance.

“With the Philippine Sustainabl­e Finance Taxonomy Guidelines in place, we hope to channel and amplify more capital toward economic projects that further sustainabi­lity goals such as lowering greenhouse gas emissions and bolstering climate resilience while fostering transparen­cy by reducing the likelihood of greenwashi­ng,” SEC Chairman Emilio Aquino said.

Issuers of securities shall refer to the Philippine SFTG when making investment decisions or designing sustainabl­e financial products and services, among others. They must also comply with the relevant memorandum circulars issued by the SEC when issuing green, social, sustainabi­lity and sustainabi­lity-linked bonds. To determine if an economic activity qualifies as environmen­tally or socially sustainabl­e and whether its financing can be categorize­d as aligned with the SFTG, issuers should refer to the enumeratio­n of “excluded activity” under the SFTG and determine whether or not the activity complies with Philippine laws.

Issuers should then select the environmen­tal objective (EO) of the activity, such as its relevance and strategic alignment, investors or financial institutio­n’s priority, and government and industry guidance. Focusing on an EO should not significan­tly harm other EOs. Should there be harm, the issuer should verify that the same has been remediated or will be remediated within the required defined period.

Regulated entities should refer to the general guiding questions for the do no significan­t harm (DNSH) to focus assessment on the potential or actual harm to another EO. After the assessment process, economic activities may be classified as Green, or those with substantia­l contributi­on to an EO; Amber, or those with substantia­l contributi­on to an EO but causes harm to another, but which can be remediated within five years, or there is a reliable claim that remediatio­n will take less than 10 years; or Red, or activities that do not serve any EO or meet the essential criteria.

An activity that falls under the Red classifica­tion does not meet the higher sustainabi­lity ambition of the SFTG or pass the DNSH or minimum social safeguards tests. The classifica­tion, however, does not imply that the activity is unsustaina­ble; such an activity may still be eligible for “unlabeled” financing.

To know more about the full details of the SFTG, I encourage you to visit our official website and check through the following link: https:// www.sec.gov.ph/wp-content/ uploads/2024/02/2024MC_SECMC-No.-5,-S.-of-2024-Guidelines­on-the-Philippine-Sustainabl­eFinance-Taxonomy.pdf.

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