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2022 will likely be a watershed moment in the EU’s ESG regulatory calendar. Starting from the 1st of January, we will see the EU Taxonomy for climate change mitigation and climate change adaptation coming into force. During the rest of the year the implementation of amendments to MiFID II, UCITS/AIFMD, IDD and Solvency II, as well as the application of the RTS ‘Single Rulebook’ (Level 2) will follow.
This string of regulatory changes will substantially impact the business conduct and product design, but also the data gathering:
Target market encompassing the investors’ sustainability preferences;
SFDR Principal Adverse Impacts: Collection of data for the first reporting period
(i.e. 1/1/2022 to 31/12/2022);
SFDR Level 2 products template impacting investment strategies and allocation limits for ESG investments, sustainable investments and remainder investments for each art. 8 and art. 9 type of UCITS or AIF;
Taxonomy on climate sets the screening criteria for all economic sectors.
In light of this massive shift and acceleration in regulatory momentum, we largely expect 2022 to represent acceleration – as players alter their investment, risk and reporting strategies in order to ensure compliance.
That being said, once the regulatory dust settles and players adapt accordingly – we believe that 2022 will truly set the scene for ESG investing to become the rule rather than the exception in the European AWM landscape.