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Information about sustainability (SFDR)

Introduction

At the end of 2019, the Regulation 2019/2088 on sustainability-related disclosures in the financial services sector (“SFDR”) was adopted by the European Union. The Regulation takes an all-encompassing and evolving approach to sustainable finance, requiring all financial market participants1 and financial advisers to publish information online on discretionary management and the investment advice that they provide, in particular:

  • the integration of Sustainability Risks;
  • the consideration of principal adverse impacts (“PAI”) in the investment processes at entity level;
  • the remuneration policies in relation to the integration of sustainability risks; and
  • the publication of sustainability-related disclosures including information on the Bank’s Article 8 and 9 products as defined below and on the consideration of PAI at product level.

The below information is applicable to BANQUE RAIFFEISEN S.C., LUXEMBOURG, a cooperative company (société coopérative) incorporated under the laws of the Grand Duchy of Luxembourg, having its registered office at 4, rue Léon Laval, L-3372 Leudelange, Grand Duchy of Luxembourg and registered with the Luxembourg trade and companies register under the number B20128 (hereinafter referred to as the "Bank" or “Banque Raiffeisen”).

The mandatory publication of the below information shows how sustainability is central for Banque Raiffeisen’s investment strategy and processes.

 

Definitions

For the purposes of SFDR:

  • sustainability risk means “an environmental, social or governance event or condition that, if it occurs, could cause an actual or a potential material negative impact on the value of the investment”.
  • sustainable investment means:
    • an “investment in an economic activity that contributes to an environmental objective, as measured, for example, by key resource efficiency indicators on the use of energy, renewable energy, raw materials, water and land, on the production of waste, and greenhouse gas emissions, or on its impact on biodiversity and the circular economy, 
    • or an investment in an economic activity that contributes to a social objective, in particular an investment that contributes to tackling inequality or that fosters social cohesion, social integration and labour relations, 
    • or an investment in human capital or economically or socially disadvantaged communities, provided that such investments do not significantly harm any of those objectives and that the investee companies follow good governance practices, in particular with respect to sound management structures, employee relations, remuneration of staff and tax compliance.” 
  • sustainability factors mean environmental, social and employee matters, respect for human rights, anti‐corruption and anti‐bribery matters. The inclusion of sustainability factors in the investment decision-making and advisory process can bring benefits beyond the financial markets. It can enhance the resilience of the real economy and the stability of the financial system. 
  • pre-contractual disclosure means the prospectus or offering documents for a fund and the investment management agreement or other terms and conditions for a portfolio management service. In the specific case of Banque Raiffeisen, pre-contractual disclosure means the R-Gestion mandate (for the discretionary management) and the Investor Guide (for the investment advice).
  • Article 6 product means a financial product that does not promote Environmental/Social (E/S) characteristics, that does not have as its objective sustainable investment and that does not meet the definition of Articles 8 and 9 SFDR.
  • Article 8 product means, as per the SFDR, a financial product that promotes E/S characteristics. Those products integrate ESG into their strategy and process and promote environmental and/or social characteristics.  If those products invest in companies, they must follow good governance practices. Such promotion may for example include screening out certain investments based on ESG criteria or considering ESG ratings when making investment decisions. While those products do not have a sustainable investment objective, they may have a pocket of sustainable investments. 
  • Article 9 product means, as per the SFDR, a financial product that has a sustainable investment objective. ESG considerations are a key element of the investment strategy and process. Furthermore, only sustainable investments are made (cf. definition of “sustainable investment”). An example of a sustainable strategy is impact investing, with the aim to have a measurable positive impact on society. 

Overview of our SFDR documentation

Our discretionary management has 6 different investment instructions (R-Gestion Sustainable, R-Gestion Defensive, R-Gestion Balanced, R-Gestion Dynamic, R-Gestion Flexible and R-Gestion Aggressive). Investment advice is provided through two advisory services: R-Invest & R-Conseil.

SFDR requirements

Discretionary management
Investment advice
 

 

R-Gestion Flexible 

[Article 6 product]

R-Gestion Defensive

[Article 8 product]

R-Gestion Balanced [Article 8 product]

R-Gestion Dynamic [Article 8 product]

R-Gestion Aggressive [Article 8 product]

R-Gestion Sustainable

[Article 9 product]

R-Invest & R-Conseil
Policies on the integration of sustainability risks in our investment decision-making process and in our investment advice (Article 3 SFDR)

Sustainability Risk Policy

Consideration of PAI on sustainability factors at entity level (Article 4 SFDR) PAI Statement as of March 2021 and revised in May 2023
Statement on principal adverse impacts of investment decisions on sustainability factors of 30 June 2023 (annual reporting) 
No consideration of PAI
Remuneration policies in relation to the integration of sustainability risks (Article 5 SFDR)

Sustainability risks are taken into account in our risk policy and integrated into our investment decisions but as of today there is no performance target or individual evaluation criteria for assessing the consideration of sustainability risks.

For more information on our Remuneration Policy and the criteria used to assess the individual performance of our employees, please refer to the paragraph entitled “Politique de remuneration” in our 2022 Pillar III Report (only available in French).

Information on the manner in which sustainability risks are integrated as well as the result of the assessment of the likely impacts of sustainability risks on the returns of the financial products (Article 6 SFDR) Information disclosed in our mandates as Annex Information disclosed in our mandates as Annex Information disclosed in our mandates as Annex Information disclosed in our mandates as Annex Information disclosed in our mandates as Annex Information disclosed in our mandates as Annex

 

As a financial adviser, we consider sustainability risk to be relevant. The information is disclosed in the ”Investor Guide” available on our website.

Publication of sustainability-related disclosures including information on the consideration of PAI at product level (Article 7 SFDR) Non applicable according to the SFDR

Pre-contractual disclosure

Website disclosure

Periodic disclosure (annex to portfolio evaluation)

Pre-contractual disclosure

Website disclosure

Periodic disclosure (annex to portfolio evaluation)

Pre-contractual disclosure

Website disclosure

Periodic disclosure (annex to portfolio evaluation)

Pre-contractual disclosure

Website disclosure

Periodic disclosure (annex to portfolio evaluation)

Pre-contractual disclosure

Website disclosure

Periodic disclosure (annex to portfolio evaluation)

Non applicable according to the SFDR
Publication of sustainability-related disclosures including information on the Bank’s Article 8 and 9 products (Article 8 to 11 SFDR)

Discretionary management & Investment Advice – Policies on the integration of sustainability risks in our investment decision-making process (Article 3 SFDR)

As regards discretionary management, the Bank is advised by an external provider (the “external Investment Adviser”). The selection of products in our investment instructions is limited to investment funds and ETFs. 
With regard to investment advice, our advisory services are currently based on investment product selection lists.
As requested by Article 3 SFDR, the policies on the integration of sustainability risks in our investment decision-making process (R-Gestion) and in our investment advice (R-Conseil & R-Invest) can be found on our website in our Sustainability Risk Policy. Information on the definition of sustainability risk and on the main risk indicators that are monitored are provided in this Policy.

Discretionary management - Consideration of PAI of investment decisions on sustainability factors at entity level (Article 4 SFDR)

The Bank takes into consideration adverse sustainability impacts in its discretionary management as of 10 March 2021.

  • For more information, please refer to our PAI Statement as of May 2021.

The SFDR requires financial market participants to publish an annual PAI statement on the website. Quantitative as well as qualitative information are disclosed in our PAI statement that will be available on our website by June 30th, 2023. The first reference period for this data collection will be January 1st to December 31st, 2022, with the results for that reference period. Historical data will be reported on a yearly basis.

  • For more information, please refer to our first annual PAI statement of June 30th, 2023 by clicking on the button below.

Investment Advice – No consideration of PAI of investment advice on sustainability factors at entity level (Article 4 SFDR)

The Bank does not take into consideration adverse sustainability impacts in its investment advice as of 10 March 2021. The underlying information required to identify and prioritise adverse sustainability impacts is currently not available to a sufficient degree of quality and quantity.

The Bank is looking for a solution to check the availability and quality of this information.

Remuneration policies in relation to the integration of sustainability risks (Article 5 SFDR)

Banque Raiffeisen's Remuneration Policy promotes sound and prudent risk management in order to avoid, control and mitigate excessive risk-taking behaviour. As part of the criteria used to assess the individual performance of our employees is the consideration and the appropriate management of risks.

Sustainability risks are taken into account in our risk policy and integrated into our investment decisions. The Bank's Remuneration Policy does not currently include a performance target or individual evaluation criteria for assessing the consideration of sustainability risks. Due to its conservative and cautious approach to risk management and the low level of variable compensation paid to employees (the bonus is limited to a maximum of three-monthly payments of the fixed salary), Banque Raiffeisen considers that the inclusion of such criteria in its Remuneration Policy would have a very limited impact, if any, and could not lead to any significant changes in practice.

  • For more information on our compensation policy and the criteria used to assess the individual performance of our employees, please refer to the paragraph entitled “Politique de remuneration” in our 2022 Pillar III Report (only available in French).

Investment Advice – Integration of sustainability risks into our investment advice and the result of the assessment of the likely impacts of sustainability risks on the returns of the financial products (Article 6 SFDR)

No advice is provided on products not mentioned below.

We deem sustainability risks to be relevant for funds (UCITS - Undertakings for Collective Investment in Transferable Securities). For ETFs only deem those risks to be relevant when they replicate a benchmark that includes ESG characteristics.

We deem sustainability risks to be relevant for structured products and bonds as well, but we are currently not considering them. The Bank is looking for a solution to integrate those risks.

Therefore, and as requested by Article 6 SFDR, Banque Raiffeisen discloses information on the manner in which sustainability risks are integrated as well as the result of the assessment of the likely impacts of sustainability risks on the returns of the financial products in the ”Investor Guide” available on our website.

Discretionary management – Integration of sustainability risks at product level and the result of the assessment of the likely impacts of sustainability risks on the returns of the financial products (Article 6 SFDR)

The integration of sustainability risks is independent of the ESG ambition of our investment instructions. Therefore, all our investment instructions (categorized as Article 6, 8 or 9 products) integrate sustainability risks.

 

As requested by Article 6 SFDR, information on the manner in which sustainability risks are integrated as well as the result of the assessment of the likely impacts of sustainability risks on the returns of the financial products are disclosed in our mandates as Annex.

Discretionary management - Publication of sustainability-related disclosures including information on the Bank’s Article 8 and 9 products (Article 8 to 11 SFDR) and on the consideration of PAI at product level (Article 7 SFDR)

The Bank has classified as Article 8 the following investment instructions: R-Gestion Defensive, R-Gestion Balanced, R-Gestion Dynamic and R-Gestion Aggressive.
As for now, the Bank has classified as Article 9 the following investment instruction: R-Gestion Sustainable.

All the information regarding the E/S characteristics or the sustainable investment objective promoted by our Article 8 or 9 products respectively, as well as the methodologies used to assess, measure and monitor these characteristics or objective are available on our website in the pre-contractual and website disclosures as well as in the periodic disclosures that are disclosed as annex to our portfolio valuation.

PAI information at product level is disclosed in this documentation as well.

Last update: February 2024

 

1 The Bank as a credit institution which portfolio management is a financial market participant according to the SFDR.