By King & Wood Mallesons’ Banking Group
On the 24th day of February 2012, China Banking Regulatory Commission (the "CBRC") issued the Green Credit Guidelines (the "Guidelines"), which require banking financial institutions ("Banks") to encourage energy saving, emission reduction and environment protection by managing environmental and social risk(1) of its client. The Guidelines apply to domestic policy banks, commercial banks, rural cooperation banks and rural credit cooperatives. In addition, village banks, loan companies, rural funding cooperatives and non-banking financial institutions shall also adopt the Guidelines to the extent applicable.
The Guidelines introduced some specific requirements in relation to the following aspects:
1 Organization and Management
The Guidelines require the board of directors or council of the Banks to assume the responsibilities of fixing its green credit development strategy, approving the green credit goal and green credit report, supervising and assessing the relevant performance. Its senior management shall annually report to the board of directors or council the progress of green credit, as well as to the regulators.
2 Internal Policy
Banks are required to customize its credit guidelines for those industries restricted by the government and those with substantial environmental and social risk according to laws and industry policies. It shall maintain a list of clients with substantial risk, and urge such clients to take mitigating measures.
3 Lending Procedures
Banks shall:
(a) Pre-lending Investigation
arrange due diligence investigations on environmental and social risk according to the characters of clients; it shall not grant credit to the clients that are unqualified in environmental and social performance.
3.2 Loan Documentation
require in the loan agreement that clients with substantial environmental and social risk shall submit environmental and social risk evaluation report. The loan agreement shall also include representations and warranties clauses regarding environmental and social risk management, undertakings of the client to accept supervision of the lender, and remedies for breach of such representations, warranties and undertakings.
3.3 Loan Disbursement
take the adequacy of the client’s environmental and social risk management as an important factor for loan disbursement. Even if credit has been granted, disbursement of the loan proceeds may be suspended or terminated upon the occurrence of substantial environmental or social risk in the project.
3.4 Post-lending Management
implement tailor-made post-lending management measures for clients with potential substantial risk, and shall take measures in a timely manner and report to regulators when substantial risk occurs to its client.
3.5 Oversea Projects
ensure in oversea projects financed by them that the sponsor of the project comply with the environmental and social laws and regulations of the host country.
4 Internal Management and Information Disclosure
Banks are required to conduct internal audit on green credit regularly and fully disclose its green credit development progress.
5 Supervision
Banks shall, at least once in two years, conduct full scope evaluation on green credit, and submit its self-evaluation report to the CBRC. The CBRC will conduct off-site and on-site inspection, and take the result as an important factor of rating, granting institution and business licenses and evaluating the performance of senior officers of Banks.
Notes:
1、The "environmental and social risk" is defined in the Guidelines as any hazard and relevant risk brought to the environment and society by any activity in respect of construction, production, operation of the bank’s client and its material related parties, including those environmental and social problems relating to energy consumption, pollution, earth, health, safety, migration arrangement, environment protection, change of climate.
Contacts
For further information on the matters covered in this newsletter, please contact:
BEIJING OFFICE
Wang Ling
King & Wood Mallesons
40th Floor Office Tower A, Beijing Fortune Plaza
7 Dongsanhuan Zhonglu
Chaoyang District Beijing
China
Tel: +86 10 5878 5056
Fax: +86 10 5878 5599
Email: wangling@kwm.com
Liu Zhigang
King & Wood Mallesons
40th Floor Office Tower A, Beijing Fortune Plaza
7 Dongsanhuan Zhonglu
Chaoyang District Beijing 100020
China
Tel: +86 10 5878 5126
Fax: +86 10 5878 5599
Email: liuzhigang@kwm.com
SHANGHAI OFFICE
Chen Yun
King & Wood Mallesons
17th Floor, One ICC, Shanghai ICC,
999 Huai Hai Road (M),
Shanghai, 200031,
China
Tel: +86 21 2412 6052
Fax: +86 21 2412 6350
Email: chenyun@kwm.com