The Office of the Comptroller of the Currency (OCC) proposed a rule that would preclude banks from taking climate risks into account when making decisions regarding the provision of financial services. We submitted joint comments explaining how OCC fails to consider or justify serious costs imposed by the rule. Climate risks pose a significant threat to the economic and operational health of firms in the energy sector and to the stability of the financial system as a whole.
Related Reading
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Report: U.S. SEC Should Mandate Climate Disclosure Risks
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SEC Gets New Call to Mandate Corporate Climate Disclosures
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Corporate Climate Risk: Assessment, Disclosure, and Action: Conference Brief
Publications / February 9, 2021
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Comments to Department of Labor on Shareholder Proxy Voting Rule
Project Updates / October 5, 2020
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Comments to SEC on Regulation S-K and Climate Risk
Project Updates / April 28, 2020