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Showing posts with label Sustainability. Show all posts
Showing posts with label Sustainability. Show all posts
Tuesday, February 11, 2014
The Challenges of Running Responsible Supply Chains
NYT blog post by Laura D'Andrea Tyson discussing some of the leading initiatives and challenges for the promotion of labour and health and safety standards through supply chains. Of particular interest to those grappling with the application of the Guiding Principles on Business and Human Rights in the supply chain context.
Tuesday, October 1, 2013
Equator Principles Financings – Mitigating Potential Legal Risks for Canadian Banks

Monday, September 16, 2013
Escalating Social Risk for Mining Sector

Friday, September 13, 2013
New Case May Affect Whether Equator Principles Adoption Creates a Global Duty of Care on Canadian Banks
Monday, September 9, 2013
UN Global Compact: Canadian launch of the Guiding Principles

Wednesday, September 4, 2013
Export-Import Bank Sued by Environmental Groups for Coal Export Loan Guarantee

Monday, August 19, 2013
First trial and conviction under Canadian corruption of foreign officials law

Friday, August 16, 2013
Increased Risks of Liability for International Human Rights Claims Brought in Canada

As noted, the matter has yet to proceed to trial and none of the allegations raised have yet been proven. That being so, this case has important implications for Canadian businesses operating abroad. In essence, the finding means that a complaint
Monday, July 29, 2013
New Sustainability Rules Requiring Legal Strategy Rethink

Wednesday, July 10, 2013
Human Rights Due Diligence in International Finance

Tuesday, July 2, 2013
Corporate Criminal Liability for Bribery of Foreign Public Officials by Employees
Thursday, June 27, 2013
U.S. to Suspend Trade Privileges With Bangladesh Over Labour Safety Standards

Thursday, May 30, 2013
Managing Lender Liability in Equator Principles Implementation - Regulatory Offences

Wednesday, May 29, 2013
Managing Lender Liability in Equator Principles Implementation - Legacy Liabilities (Post-Loan following Repayment or Default)

The purpose will be to consider whether there are plausible legacy liability risks affecting EP implementation and, if so, how such risks could be managed by Equator Principles Financial Institutions (EPFI) before they materialize.
Please note that, as this is a blog post, the analysis is high level and intended to raise points for reflection and thought rather than to be an exhaustive review of the law on these subjects. Hopefully it raises some useful considerations and I am very much open to comment (and criticism) of the topic and ideas put forward. The goal is to generate a dialogue that may help push the boundaries of our understanding of these issues.
Thursday, May 23, 2013
New York Times: U.S. Retailers See Big Risk in Safety Plan for Factories in Bangladesh

Thursday, May 16, 2013
Final Equator Principles III and the August 2012 Draft - What are the differences?
Some of the main differences are:
1. Elimination of the High Income OECD threshold for application of the IFC Performance Standards in the final version. Now there is a concept of "Designated Countries" which basically has the same effect but is not based on high income status;
2. Only a summary of an ESIA rather than full disclosure of the ESIA and ESMP is required in the final version;
3. In the final version only a "majority" of a corporate loan meeting the appropriate thresholds must be tied to a project, that caveat wasn't in the draft;
4. New emphasis in principle 3 that compliance with relevant host country laws, regulations and permits are to be address "in the first instance" in Assessments;
5. Some changes to Appendix B setting out EPFI reporting requirements;
6. More specific reference to the Guiding Principles on Business and Human Rights due diligence requirement.
1. Elimination of the High Income OECD threshold for application of the IFC Performance Standards in the final version. Now there is a concept of "Designated Countries" which basically has the same effect but is not based on high income status;
2. Only a summary of an ESIA rather than full disclosure of the ESIA and ESMP is required in the final version;
3. In the final version only a "majority" of a corporate loan meeting the appropriate thresholds must be tied to a project, that caveat wasn't in the draft;
4. New emphasis in principle 3 that compliance with relevant host country laws, regulations and permits are to be address "in the first instance" in Assessments;
5. Some changes to Appendix B setting out EPFI reporting requirements;
6. More specific reference to the Guiding Principles on Business and Human Rights due diligence requirement.
Update: Equator Principles III is approved and launched - new trends and a strategy rethink

The release of EP III follows a major revision of the IFC Performance Standards on Environmental & Social Sustainability in 2012 (IFC Performance Standards), a set of guidelines that is incorporated by reference into the EP framework. Together, these changes mark an important evolution in best practice in environmental and social risk management of particular importance for both bankers and those seeking access to capital.
This article reviews the new ground rules of environmental and social risk management and considers some new trends that may begin to emerge. We also consider what risks and opportunities arise from these developments that should be considered by both financiers and those seeking finance who must comply with these frameworks to meet their business goals.
Sunday, May 5, 2013
Anna Kirkpatrick: Kiobel v Shell - What the decision says and what it left out
Anna Kirkpatrick of Norton Rose in London England discusses the recent US Supreme Court decision in Kiobel v. Shell, and the implications of the decision for business and human rights expectations and litigation in the United States.
This decision is particularly of interest for Equator Principles (EP) financings in light of the human rights due diligence requirements of the new IFC Performance Standards on Environmental and Social Sustainability, incorporated by reference into the EP.
Read on for Anna's discussion of what the decision says and what remains to be determined in US law.
This decision is particularly of interest for Equator Principles (EP) financings in light of the human rights due diligence requirements of the new IFC Performance Standards on Environmental and Social Sustainability, incorporated by reference into the EP.
Read on for Anna's discussion of what the decision says and what remains to be determined in US law.
Thursday, May 2, 2013
Reflections on Migrant Labour in China - Application of IFC Performance Standards and Equator Principles
Wednesday, May 1, 2013
Equator Principles in Brazilian Transactions

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