Why CFOs Should Be Enterprise Sustainability Leaders
-
bookmark
-
print
- Keywords:
As the CFO of a Fortune 500 company for six years, Elyse Douglas realized that for her business to reap the full benefits of ESG efforts, she would have to lead the agenda.
"I understood that the best way to build the business case for sustainability was for the CFO to embed ESG activities into corporate strategy and plans, allocate needed capital, and hold people accountable," says Douglas, the former CFO of Hertz. "Otherwise, it will not achieve the level of prominence and importance ESG deserves."
Those lessons stayed with her, and today, Douglas is a Senior Scholar at the Center for Sustainable Business at New York University. There, she helps CFOs and other corporate leaders prove the importance of ESG (environmental, social, and corporate governance) initiatives for business management and performance. A strong business case for sustainability is increasingly important as stakeholders (including investors, employees, customers, suppliers, communities, regulators, and the media) scrutinize the ESG profile of companies.
"Companies that fail to factor ESG into their strategy, operations, and overall strategic decision-making are at risk of missing opportunities that may significantly impact their revenues and profitability," Douglas explains.
Bottom Line Impact
CFOs are uniquely positioned to take a leading role in sustainability strategy, disclosures, and reporting to their boards on related opportunities and risks. They just may not realize it yet.
They also may not realize that investors, consumers, and employees are already making decisions about companies based on their sustainability agenda and record. In a 2022 PwC survey , ESG factors were fourth and fifth among investors' top priorities for companies, with effective governance and reducing greenhouse gas emissions a priority for 49% and 44% of investors, respectively.
"CFOs that fail to understand the tangible financial benefits associated with a strong sustainability strategy—the ability to attract capital, talent, positive media coverage, and customer loyalty—are unlikely to assess, measure, and mitigate the related risks," says Douglas. "In turn, this can lead to employee retention issues, higher costs, poor brand reputation."
In January, European Union regulators announced new regulatory requirements on ESG reporting by large, public-interest companies with more than 500 employees to include information on environmental and social matters, human rights and anti-corruption information, and company board diversity.
Some banks are evaluating financing decisions, and insurance companies are making underwriting decisions based on customers' ESG disclosures. For example, global insurer Chubb will not underwrite insurance for utilities that generate more than 30% of their energy production from coal. BMO has been carbon neutral since 2010, and in 2020, we achieved 100% renewable electricity across global operations.
To meet stakeholders' demands and get ahead of future sustainability concerns, CFOs can start by building the business case in their organizations. Imagine, for example, a CFO recommending that human resources adopt an employee well-being program to create a more sustainable workplace. If the CFO knew what retailer REI learned when working with the Center for Sustainable Business —that their employee well-being program produced $34 million in net benefits in 2019 —the recommendation would make perfect sense.
A Clearer View of Sustainability
To assist CFOs looking to lead on the topic, the Center for Sustainable Business has developed the Return on Sustainability Investment (ROSI ) methodology. The ROSI framework consists of four pillars.
Applying the ROSI approach, using an example of a chocolate manufacturer, might look like this:
Assess material ESG factors relevant to corporate operations: The maker of chocolate assesses the elimination of suppliers whose practices result in deforestation—a factor for which ROI is not immediately clear.
Determine financial and societal benefits of a specific initiative: Next, the chocolate company determines the possible benefits of a sustainability practice, such as improvements in operational efficiency, risk management, supplier relations, and media coverage. The company may determine that by sourcing sustainable palm oil, society will benefit from a reduction in global warming. In turn, the policy may lead to greater brand loyalty and improved operational efficiency as the company sources from fewer suppliers.
Quantify specific benefits: The company quantifies the perceived benefits derived from sustainable practices. The chocolate maker's commitment to deforestation-free palm oil may result in a specific percentage increase in employee satisfaction levels.
Apply a dollar value to the benefits of the sustainability-focused initiative: The company calculates a dollar value that may accrue from the intangible benefits associated with the sustainability practice. This might be an estimation of the monetary value of positive news coverage or the value of increased employee retention.
These varied benefits are surprising in some cases, as they suggest unexpected financial returns emanating from atypical sources—such as higher operational efficiency deriving from sourcing deforestation-free palm oil. Douglas says that companies in diverse industries that have implemented the ROSI methodology have generated both direct and indirect financial returns. For example, the Center for Sustainable Business collaborated with the CFO and the chief sustainability officer of a power company planning to phase out coal-generated electricity ahead of the U.S. government's 2030 mandate.
"Ultimately, we were able to quantify the potential financial return on four of seven intangible benefits—the cost of debt financing, a lower cost of equity, decreases in employee turnover, and higher employee productivity."
The financial returns from the four intangible benefits added up to about $30 million.
Valuing Intangible Benefits
A CFO's unique perspective into the business is crucial in tracking intangible benefits of sustainability, related, for example, to brand and reputation. Strengthening the connection between these non-financial assets and financial performance is important for investors, lenders, insurers, and other corporate stakeholders to gauge the long-term value of sustainability practices, says Douglas.
CFOs interested in leading on enterprise ESG activities might start by downloading the sustainability standards developed by the nonprofit Sustainability Accounting Standards Board (SASB). The SASB standards identify the subset of ESG issues most relevant to financial performance in 77 different industries, "highlighting what is material for CFOs in a particular industry to track and disclose," Douglas says.
As CFOs take charge of sustainability, their efforts will extend beyond tangible and intangible financial benefits, building a more sustainable, resilient business that is well ahead of the curve.
Melissa Fifield leads the BMO Climate Institute, a center of expertise accelerating climate solutions by bridging science, policy, finance and economics. She is a g…(..)
View Full Profile >As the CFO of a Fortune 500 company for six years, Elyse Douglas realized that for her business to reap the full benefits of ESG efforts, she would have to lead the agenda.
"I understood that the best way to build the business case for sustainability was for the CFO to embed ESG activities into corporate strategy and plans, allocate needed capital, and hold people accountable," says Douglas, the former CFO of Hertz. "Otherwise, it will not achieve the level of prominence and importance ESG deserves."
Those lessons stayed with her, and today, Douglas is a Senior Scholar at the Center for Sustainable Business at New York University. There, she helps CFOs and other corporate leaders prove the importance of ESG (environmental, social, and corporate governance) initiatives for business management and performance. A strong business case for sustainability is increasingly important as stakeholders (including investors, employees, customers, suppliers, communities, regulators, and the media) scrutinize the ESG profile of companies.
"Companies that fail to factor ESG into their strategy, operations, and overall strategic decision-making are at risk of missing opportunities that may significantly impact their revenues and profitability," Douglas explains.
Bottom Line Impact
CFOs are uniquely positioned to take a leading role in sustainability strategy, disclosures, and reporting to their boards on related opportunities and risks. They just may not realize it yet.
They also may not realize that investors, consumers, and employees are already making decisions about companies based on their sustainability agenda and record. In a 2022 PwC survey , ESG factors were fourth and fifth among investors' top priorities for companies, with effective governance and reducing greenhouse gas emissions a priority for 49% and 44% of investors, respectively.
"CFOs that fail to understand the tangible financial benefits associated with a strong sustainability strategy—the ability to attract capital, talent, positive media coverage, and customer loyalty—are unlikely to assess, measure, and mitigate the related risks," says Douglas. "In turn, this can lead to employee retention issues, higher costs, poor brand reputation."
In January, European Union regulators announced new regulatory requirements on ESG reporting by large, public-interest companies with more than 500 employees to include information on environmental and social matters, human rights and anti-corruption information, and company board diversity.
Some banks are evaluating financing decisions, and insurance companies are making underwriting decisions based on customers' ESG disclosures. For example, global insurer Chubb will not underwrite insurance for utilities that generate more than 30% of their energy production from coal. BMO has been carbon neutral since 2010, and in 2020, we achieved 100% renewable electricity across global operations.
To meet stakeholders' demands and get ahead of future sustainability concerns, CFOs can start by building the business case in their organizations. Imagine, for example, a CFO recommending that human resources adopt an employee well-being program to create a more sustainable workplace. If the CFO knew what retailer REI learned when working with the Center for Sustainable Business —that their employee well-being program produced $34 million in net benefits in 2019 —the recommendation would make perfect sense.
A Clearer View of Sustainability
To assist CFOs looking to lead on the topic, the Center for Sustainable Business has developed the Return on Sustainability Investment (ROSI ) methodology. The ROSI framework consists of four pillars.
Applying the ROSI approach, using an example of a chocolate manufacturer, might look like this:
Assess material ESG factors relevant to corporate operations: The maker of chocolate assesses the elimination of suppliers whose practices result in deforestation—a factor for which ROI is not immediately clear.
Determine financial and societal benefits of a specific initiative: Next, the chocolate company determines the possible benefits of a sustainability practice, such as improvements in operational efficiency, risk management, supplier relations, and media coverage. The company may determine that by sourcing sustainable palm oil, society will benefit from a reduction in global warming. In turn, the policy may lead to greater brand loyalty and improved operational efficiency as the company sources from fewer suppliers.
Quantify specific benefits: The company quantifies the perceived benefits derived from sustainable practices. The chocolate maker's commitment to deforestation-free palm oil may result in a specific percentage increase in employee satisfaction levels.
Apply a dollar value to the benefits of the sustainability-focused initiative: The company calculates a dollar value that may accrue from the intangible benefits associated with the sustainability practice. This might be an estimation of the monetary value of positive news coverage or the value of increased employee retention.
These varied benefits are surprising in some cases, as they suggest unexpected financial returns emanating from atypical sources—such as higher operational efficiency deriving from sourcing deforestation-free palm oil. Douglas says that companies in diverse industries that have implemented the ROSI methodology have generated both direct and indirect financial returns. For example, the Center for Sustainable Business collaborated with the CFO and the chief sustainability officer of a power company planning to phase out coal-generated electricity ahead of the U.S. government's 2030 mandate.
"Ultimately, we were able to quantify the potential financial return on four of seven intangible benefits—the cost of debt financing, a lower cost of equity, decreases in employee turnover, and higher employee productivity."
The financial returns from the four intangible benefits added up to about $30 million.
Valuing Intangible Benefits
A CFO's unique perspective into the business is crucial in tracking intangible benefits of sustainability, related, for example, to brand and reputation. Strengthening the connection between these non-financial assets and financial performance is important for investors, lenders, insurers, and other corporate stakeholders to gauge the long-term value of sustainability practices, says Douglas.
CFOs interested in leading on enterprise ESG activities might start by downloading the sustainability standards developed by the nonprofit Sustainability Accounting Standards Board (SASB). The SASB standards identify the subset of ESG issues most relevant to financial performance in 77 different industries, "highlighting what is material for CFOs in a particular industry to track and disclose," Douglas says.
As CFOs take charge of sustainability, their efforts will extend beyond tangible and intangible financial benefits, building a more sustainable, resilient business that is well ahead of the curve.
What to Read Next.
How CFOs Can Address Climate Risk
Melissa Fifield | October 04, 2023 | Business Strategy, Manage Cash Flow
The impact of extreme weather patterns, mega-fires, and policy shifts toward a low-carbon economy are putting pressure on finance teams across i…
Continue Reading>More Insights
Tell us three simple things to
customize your experience.
Contact Us
Banking products are subject to approval and are provided in the United States by BMO Bank N.A. Member FDIC. BMO Commercial Bank is a trade name used in the United States by BMO Bank N.A. Member FDIC. BMO Sponsor Finance is a trade name used by BMO Financial Corp. and its affiliates.
Please note important disclosures for content produced by BMO Capital Markets. BMO Capital Markets Regulatory | BMOCMC Fixed Income Commentary Disclosure | BMOCMC FICC Macro Strategy Commentary Disclosure | Research Disclosure Statements.
BMO Capital Markets is a trade name used by BMO Financial Group for the wholesale banking businesses of Bank of Montreal, BMO Bank N.A. (member FDIC), Bank of Montreal Europe p.l.c., and Bank of Montreal (China) Co. Ltd, the institutional broker dealer business of BMO Capital Markets Corp. (Member FINRA and SIPC) and the agency broker dealer business of Clearpool Execution Services, LLC (Member FINRA and SIPC) in the U.S. , and the institutional broker dealer businesses of BMO Nesbitt Burns Inc. (Member Canadian Investment Regulatory Organization and Member Canadian Investor Protection Fund) in Canada and Asia, Bank of Montreal Europe p.l.c. (authorised and regulated by the Central Bank of Ireland) in Europe and BMO Capital Markets Limited (authorised and regulated by the Financial Conduct Authority) in the UK and Australia and carbon credit origination, sustainability advisory services and environmental solutions provided by Bank of Montreal, BMO Radicle Inc., and Carbon Farmers Australia Pty Ltd. (ACN 136 799 221 AFSL 430135) in Australia. "Nesbitt Burns" is a registered trademark of BMO Nesbitt Burns Inc, used under license. "BMO Capital Markets" is a trademark of Bank of Montreal, used under license. "BMO (M-Bar roundel symbol)" is a registered trademark of Bank of Montreal, used under license.
® Registered trademark of Bank of Montreal in the United States, Canada and elsewhere.
™ Trademark of Bank of Montreal in the United States and Canada.
The material contained in articles posted on this website is intended as a general market commentary. The opinions, estimates and projections, if any, contained in these articles are those of the authors and may differ from those of other BMO Commercial Bank employees and affiliates. BMO Commercial Bank endeavors to ensure that the contents have been compiled or derived from sources that it believes to be reliable and which it believes contain information and opinions which are accurate and complete. However, the authors and BMO Commercial Bank take no responsibility for any errors or omissions and do not guarantee their accuracy or completeness. These articles are for informational purposes only.
This information is not intended to be tax or legal advice. This information cannot be used by any taxpayer for the purpose of avoiding tax penalties that may be imposed on the taxpayer. This information is being used to support the promotion or marketing of the planning strategies discussed herein. BMO Bank N.A. and its affiliates do not provide legal or tax advice to clients. You should review your particular circumstances with your independent legal and tax advisors.
Third party web sites may have privacy and security policies different from BMO. Links to other web sites do not imply the endorsement or approval of such web sites. Please review the privacy and security policies of web sites reached through links from BMO web sites.
Notice to Customers
To help the government fight the funding of terrorism and money laundering activities, federal law (USA Patriot Act (Title III of Pub. L. 107 56 (signed into law October 26, 2001)) requires all financial organizations to obtain, verify and record information that identifies each person who opens an account. When you open an account, we will ask for your name, address, date of birth and other information that will allow us to identify you. We may also ask you to provide a copy of your driver's license or other identifying documents. For each business or entity that opens an account, we will ask for your name, address and other information that will allow us to identify the entity. We may also ask you to provide a copy of your certificate of incorporation (or similar document) or other identifying documents. The information you provide in this form may be used to perform a credit check and verify your identity by using internal sources and third-party vendors. If the requested information is not provided within 30 calendar days, the account will be subject to closure.