FB News

What changes could a Biden administration bring to ESG investing?

By Leola Ross

Will support for environmental, social and governance (ESG) investing in the United States increase under the administration of President-elect Joe Biden?

Broadly speaking, we believe the answer is yes—but we don’t expect this to lead to a sea change in ESG integration. To understand why, let’s dig under the surface a bit.

What to expect from a Biden administration

In a nutshell, we believe the Biden administration will bring to the forefront the investment community’s understanding of ESG, lending more support through regulatory guidance changes and executive orders. In addition, we expect the Biden administration to take a more hands-off approach to regulating the role of ESG considerations in investing, allowing for greater fiduciary discretion and a lower regulatory burden than the current laws and regulations require.

We foresee a reversal in several of the Trump administration’s environmental policies, which could give greater significance to the environmental element of ESG investing. Top among these is, once again, signing the US onto the Paris Agreement to curb greenhouse gas emissions on Biden’s first day in office.

It’s important to note, however, that if the US signs the Paris Agreement without Senate approval—as was the case under former President Obama—future presidential administrations could pull the nation out of the accord again, as President Trump did in 2017.

Consistent with this focus on climate change, Biden will have the opportunity to replace the outgoing Securities and Exchange Commission (SEC) chair. The new chair will likely be tasked with requiring public companies to disclose climate change-related financial risks and greenhouse emissions in their operations. Biden is also likely to appoint a new head to the CFTC (Commodity Futures Trading Commission), with a mandate to increase focus on climate risk management.

As a presidential candidate, Biden made the case for a transition strategy from fossil fuels to clean energy, with specific mention of a stepwise approach to achieve lower carbon while preserving energy supply and energy jobs. This strategy suggests there could be significant material impacts to businesses in the energy sector during his tenure. However, the specifics behind these proposals—such as a ban on new fracking on federal land—are unlikely to come together for a while. As such, we believe any potential impacts on investment opportunities will remain rather murky for a while.

Turning to the social factor, there are a host of issues in this area that a Biden administration may choose to address, most notably healthcare requirements for US businesses and racial justice. For instance, the president-elect has expressed a strong interest in expanding the Affordable Care Act (ACA), including by offering a public, or government-run, option for healthcare. Small or medium-sized companies may be most impacted by such actions as obligations to provide healthcare may allow them to attract skilled workers from larger businesses, but may impose cost changes that are currently unclear.

In regard to racial justice, diversity and inclusion may find more government support over the next few years, though details on how are not clear.

The Biden administration may also wade into the social media landscape, potentially holding social media platforms accountable for content. This, in turn, could impact the bottom lines of social media titans like Facebook and Twitter. In addition, there’s also speculation that the incoming administration may try to level the playing field more between online retailers and (often) smaller, brick-and-mortar operations—especially since the Covid-19 pandemic has further accelerated the trend toward online shopping.

It’s important to note that many of these issues would be hard for the Biden administration to address without bipartisan support, assuming that the Republicans retain control of the Senate—an outcome that won’t be known until January, due to two runoff elections in Georgia. That said, Biden could also enact some changes through executive orders. We do see this as a possibility in some areas, such as internet accessibility, where the president-elect may attempt to regulate the internet like a public utility. A more highly regulated environment, in turn, would no doubt have ramifications for the security prices of big tech companies.

Regardless of which way the Senate ultimately swings, cooperation with the Republican Party will be instrumental for Biden in order to tackle, in any sort of permanent fashion, the many promises laid forth during his presidential campaign.

Industry practice versus political climate

It’s important to understand that when it comes to the consideration of ESG (environmental, social and governance) factors in an investment process, the financial industry today exhibits an awareness that ESG risks are investment risks. Put another way, our belief that ESG factors impact security prices is now widely supported across the investment landscape, as evidenced by the results of our 2020 ESG manager survey.

Certainly, the materiality of each factor can vary considerably by industry—for example, environmental aspects tend to be more important when evaluating energy companies, whereas governance factors typically matter more when evaluating the tech industry. Regardless, these factors are already deeply ingrained in today’s investment thinking, and we don’t see this as changing, irrespective of any alterations to the makeup of the US government.

As proof, look no further than the collective industry response to the Department of Labor (DOL) proposed rule on regulating ESG investments. In June, the DOL proposed a rule that would have made it more difficult for ERISA (Employee Retirement Income Security Act) plan fiduciaries to incorporate ESG factors into investment decisions. In response, the DOL received more than 8,000 comments from investment firms, industry groups and other stakeholders, the overwhelming majority of which strongly argued against this proposal, noting that ESG factors are investment factors—and that omitting them in an investment process could lead to sub-optimal performance (1).

These comments aligned strongly with the views on ESG that we’ve long held at Russell Investments. We’re of the mindset that when it comes to ESG investing, you can have your cake and eat it, too.

Political climate versus investment culture: ERISA-governed plans will remain cautious

Despite any new regulations or laws enacted by the incoming Administration, ESG investing practices are likely to be influenced by the differing cultural views embedded across the investment landscape.

ERISA-governed retirement plans:

We would be surprised to see a material shift in how corporate pensions in particular think of ESG investing, beyond the integration of ESG factors for performance-only considerations. We believe that fiduciaries of these plans will likely continue to be hesitant when considering ESG-themed investing in their investment processes—even if the goal is to integrate ESG factors solely for performance-focused reasons, as the investment management community continues to do so. Their trepidation is due to ongoing worries within the ERISA sector that any portfolios aligned with ESG-themed initiatives could open the door to potential lawsuits.

We’ve observed these same litigation concerns from multinational firms headquartered outside the US that have operations in the States.

The defined contribution market may be an area that the Biden administration could potentially influence, as it could allow for more choices for plan participants as they select from non-default investment offerings.

An as-yet uncompleted Trump administration action is likely to place restrictions on ESG-related proxy votes. While a Biden administration is likely to reverse anything that gets finalised, the uncertainty associated with these changes reinforces the very cautious view taken by ERISA plan sponsors.

Ultimately, until the DOL or congress provide plan fiduciaries with clear guidance—and ideally, additional safeguards from litigation—ESG-themed products are unlikely to be widely considered in ERISA-governed plans.

Non-profit, retail and non-ERISA retirement plans:

We do think there will continue to be an upward trend in ESG-themed investing in other sectors.

The non-profit sector has embraced ESG and impact investing this year—in fact, it’s now top-of-mind for some non-profits.

Retail investing—where investors can choose from a menu of options themselves—has trended toward a greater embrace of ESG. This includes personalised managed accounts (PMAs), IRAs and the like. We believe that the more investors are allowed to direct and choose their own investments, the more will embrace ESG investing.

State-run and other non-ERISA governed plans have trended toward ESG-aware and ESG-themed investment strategies and integration for several years already.

The bottom line

Ultimately, we believe that the outlook for ESG-aware and ESG-themed investing will be more favourable under a Biden administration. Much of this outlook is fostered by trends that will continue across the US investor landscape.

With regard to highly regulated ERISA-governed plans, we expect an early emphasis on executive orders and regulatory evolution, fostering a more hands-off approach with a lower regulatory burden than recent guidance suggests. Whether this renewed support for ESG issues becomes deep-seated or fleeting, however, will likely hinge on the ability of the new administration to achieve bipartisan support in the coming years.

1. As a result of the outcry, the DOL made several alterations to the proposed rule, notably the removal of any language singling out ESG investments. The department’s final rule, issued 30 October, reinforced the requirement that U.S. retirement plan sponsors governed by ERISA remain focused on pecuniary - or financially-related - issues and bear the burden of demonstrating a linkage in selecting any ESG-themed product.

Important Information

Unless otherwise specified, Russell Investments is the source of all data. All information contained in this material is current at the time of issue and, to the best of our knowledge, accurate. Any opinion expressed is that of Russell Investments, is not a statement of fact, is subject to change and does not constitute investment advice. The value of investments and the income from them can fall as well as rise and is not guaranteed. You may not get back the amount originally invested.

Issued by Russell Investments Implementation Services Limited. Company No. 3049880. Registered in England and Wales with registered office at: Rex House, 10 Regent Street, London SW1Y 4PE. Telephone 020 7024 6000. Authorised and regulated by the Financial Conduct Authority, 12 Endeavour Square, London, E20 1JN. Russell Investments Limited is a Dubai International Financial Centre company which is regulated by the Dubai Financial Services Authority at: Office 4, Level 1, Gate Village Building 3, DIFC, PO Box 506591, Dubai UAE. Telephone + 971 4 578 7097. This material should only be marketed towards Professional Clients as defined by the DFSA. Russell Investments Ireland Limited. Company No. 213659. Registered in Ireland with registered office at: 78 Sir John Rogerson’s Quay, Dublin 2, Ireland. Authorised and regulated by the Central Bank of Ireland.

KvK number 67296386

© 1995-2020 Russell Investments Group, LLC. All rights reserved.

MCR-00933

Top Stories