Impacts of New SEC Climate Change Disclosure Guidance on
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Transcript Impacts of New SEC Climate Change Disclosure Guidance on
By: Rikard D. Lundberg
303-223-1232
[email protected]
The SEC’s Guidance on
Climate Change
Disclosures
Presented
September 16, 2010
Copyright © 2010
Rikard Lundberg
bhfs.com
A Sampling from the 2010 Proxy Season
101 climate and energy-related resolutions with 88 U.S. and Canadian
companies (approx. 50% increase)
Majority votes: Massey Energy (adoption of quantitative goals for
reducing GHG emissions) and Layne Christensen (issuance of report on
environmental, social and governance (ESG) issues, including GHG
emissions)
Proposals testing SEC’s new guidance at ExxonMobil (withdrawn),
Chevron (8.6%) and ConocoPhillips (7.5%) calling for a report on the
financial risks from climate change
Note: May not exclude proposal under "ordinary business operation"
exclusion in Exchange Act Rule 14a-8(i)(7) if significant policy issues and
sufficient nexus between proposal and registrant (Staff Legal Bulletin
14E)
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The SEC’s New Guidance on Climate Change
SEC Interpretive Release 33-9106, effective on February 8, 2010:
“Commission Guidance Regarding Disclosure Related to Climate
Change”
Guidance on existing rules as opposed to new rules
Practical impacts – a lot is changing:
SEC and investors will examine filings for climate change information
Original petitioners and investors will probe underreporting
Competitors may disclose information to their advantage
Need for in-house staff or outside consultants to monitor new
legislation/regulation, assess “legislative likelihoods” and evaluate climate
change impacts
Need to expand disclosure controls, disclosure committees, sources of
information and communication channels
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SEC Disclosure Framework for Climate
Change
Sources of climate change disclosure obligations
SEC guidance on climate change disclosure
Regulation S-K (non-financial statement disclosures)
Regulation S-X and GAAP (financial statement disclosures)
SEC Release 33-5170, “Disclosures Pertaining to Matters Involving
the Environment and Civil Rights” (July 19, 1971)
SEC reporting framework for public companies
Periodic reports on Forms 10-K and 10-Q
Current reports on Form 8-K
Registration statements
CEO and CFO certifications under SOX
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Climate Change Disclosures and Regulation S-K
Item 101: Description of business
Item 103: Legal proceedings
Item 303: Management’s discussion and analysis of financial
condition and results of operations
Item 503(c): Risk factors
Securities Act Rule 408 and Exchange Act Rule 12b-20: other
material information
Form 8-K (Items 1.01 and 2.06)
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Materiality
“Materiality” remains a fundamental concept for climate
change disclosure
Specific materiality thresholds (e.g., Item 103 of Reg S-K)
Information is material if there is a “substantial likelihood that
a reasonable investor would consider it important in making
an investment decision”
When in doubt, disclose
Compliance will require substantial data gathering and
analysis to make materiality determination
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Areas of Disclosure under SEC’s Climate Change
Guidance
Impact of legislation and regulations, including pending
legislation and regulations
Impact of international accords
Physical impacts of climate change
Indirect consequences of regulation or business trends
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Impact of Legislation and Regulation
Increases in costs of doing business: compliance costs, energy
costs (other pass-throughs), alternative production costs
Increases in capital expenditures to comply with new laws or
regulations
Item 303 Reg S-K: assess effect of enacted climate change
legislation or regulation: “known uncertainty”
Reasonable likelihood of enactment
Reasonable likelihood of material effect on registrant
Profits from sale of allowance under cap and trade system
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Impact of International Accords
Impacts on international companies or companies sourcing
internationally
EU, Japan, China, Australia, New Zealand all are enacting GHG
emission reduction laws
Impact of renewable energy laws in other countries and impacts
on competitiveness
Retaliatory tariffs on U.S. products?
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Physical Impacts of Climate Change (Direct/Indirect)
Disclosable information may include both
the impact and its consequences
measures the registrant may take to combat those impacts
Examples
Altered weather patterns
Rising seas, flooding
Drought and water shortages
Agricultural shifts
Human health impacts
National and International security concerns
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Indirect Consequences of Regulation or Business
Trends
Risks of legal, technological, political and scientific developments regarding
climate change
Decreased/increased demand for and use of carbon-intensive/less carbonintensive products or services
Impact on reputation (green, clean, good business)
Pass-throughs from impacted suppliers
Competitiveness factors are being recognized
Energy
Supply/Distribution
Market access
Responsiveness
Indirect consequences can create risks and opportunities across the value
chain
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Financial Reporting Considerations
Materiality under Regulation S-X traditionally has been more
quantitatively focused
SAB 99 – The omission or misstatement of an item in a financial
report is material if, in the light of surrounding circumstances, the
magnitude of the item is such that it is probable that the judgment
of a reasonable person relying upon the report would have been
changed or influenced by the inclusion or correction of the item
SFAS No. 5 – If it is probable that a loss has been incurred and
the amount of the loss can be reasonably estimated, the loss
contingency must be accrued by a charge to income and the
nature of the contingency must be described in a footnote to the
financial statements
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Internal Disclosure Controls and Procedures
Management must:
monitor legislative/regulatory developments
collect data
analyze data
make materiality determinations/quantify uncertainties
disclose
Speak with one voice in overlapping fora
Criminal liability for certifying officers for false certifications
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Internal Review Protocols for Climate
Change
Avoid boilerplate
Use plain English
Be consistent in reporting
Coordinate accounting, legal and valuation disciplines
Establish/expand disclosure committees
Hire inside climate change experts or engage outside experts to
monitor proposed legislation, assess potential enactment
Consider relevance for privately held companies
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Examples of Sources for Guidance on
Climate Change Disclosure
SEC filings made by utility, oil and gas, insurance or other companies already
reporting
American Society for Testing and Materials (ASTM) Standard: “Guide for
Financial Disclosures Attributed to Climate Change”
Climate Disclosure Standards Board (CDSB)
Corporate responsibility/sustainability reporting
National Association of Insurance Commissioners (NAIC) mandatory climate risk
disclosure for insurance companies with annual premiums over $500 million
EPA GHG inventory beginning in 2011 for 10,000 facilities that emit more than 25,000
metric tons of GHG annually
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Likely Responses to Climate Change
Reporting
Ordinary course review by SEC staff, with new emphasis
Outside review/critique by NGOs and investors, etc.
Increased volume of shareholder proposals
More “green” proxy battles
More detailed, refined disclosures
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Climate Change Analysis and Disclosures
for Private Companies
Private companies may choose to follow disclosure practices of public
companies
In preparation for IPOs
As a result of developing best practices in offering documents
To become more attractive to a public company acquiror
For competitive, social or other reasons
Pressure from the public, investors and regulators
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Climate Change Disclosure and Enterprise
Valuation
Climate change has reportable risks based on customer demand,
competition, seasonality and regulatory compliance expenditures
Value impacts can be measured
Impact of legislation and regulation – green energy vs. power
generation sectors
Physical impacts of climate change – agriculture, forestry and ski
industries
Seasonality risks impacts captured within market prices
Impact of climate change risks on corporate decisions
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Conclusions
Rejecting the SEC’s guidance will buck a significant disclosure trend
Compliance will require substantial data gathering and analysis to make
materiality determinations
Companies should pay attention to the composition and procedures of disclosure
committees
Companies should consider retention of outside advisors for climate change
impact analysis and disclosures
Companies operating or sourcing internationally may need outside assistance to
analyze impact of international or foreign climate change regulations
Companies’ disclosures in SEC documents should be consistent with all other
public disclosures
Disclosure of carbon footprint is not mandated
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Contact Information
Rikard Lundberg
Brownstein Hyatt Farber Schreck, LLP
410 Seventeenth Street, Suite 2200
Denver, CO 80202
Ph: 303-223-1232
Fax: 303-223-8032
Email: [email protected]
Brownstein Hyatt Farber Schreck, LLP
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