Year
2022
Annual Report - Business and Sustainability

Sustainability at Eurobank

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    Sustainability at Eurobank
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      The Eurobank ESG Strategy with regard to its financing and products, its internal environment, and the way it is organised and operates has been developed along two key pillars: operational and financed impact. These are combined for preparing the Bank’s path towards net-zero by 2050. Eurobank has also adopted an ESG Governance and operating model to support its ESG Strategy and integrate any related risks, while adhering to the Principles for Responsible Banking.

      Why sustainability matters at Eurobank

      Eurobank places more importance on sustainability than ever before. It has expressed the ESG aspect of its business through the lens of impact generation. Eurobank links its approach to sustainability with its ambitious vision to reimagine its business and operations towards a lower-carbon future, an innovative digital environment, a diverse, inclusive and equitable society, and a governance environment that builds trust in the market.

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      The most common definition for sustainability has been given by the UN Brundtland Commission – which defines it as “the development that meets the needs of the present generation without compromising the ability of future generations to meet their own needs” – but does not often meet the need to express the business case of sustainability. For several decades, sustainability has had a large impact on driving global decisions at a political and business level, but at the same time it is often regarded as a corporate trend that is not directly connected to business.

      It is, therefore, important for businesses to understand sustainability within the context of their business and make the appropriate connection with the very same elements that define the values and operational substance of each company. It is only then, when sustainability is embedded as a core structural element of a company, that it makes business sense.

      Eurobank, has expressed its corporate Purpose as “Prosperity needs Pioneers”. Through this purpose, it aspires to create a future that embraces growth and prosperity for all. Prosperity has been chosen as a powerful term that encapsulates economic wellbeing and social growth in the present and in the future. Pioneers have been chosen as the Bank regards its clients as the Pioneers who enable prosperity in the countries where it operates. It believes that its purpose for supporting its pioneering clients in enabling prosperity for the long-term common good is inextricably linked to the very foundation of sustainability as a concept for thriving societies within a protected natural environment.

      Eurobank has expressed the Environmental, Social, Governance (ESG) aspect of its business through the lens of Impact generation. The ESG Strategy has been defined in a holistic approach, as two pillars of impact generation: the operational impact arising from its activities and the financed impact resulting from the Bank’s lending and investing activities to specific sectors and clients. These two pillars of impact aim to capture the essence of the Bank’s business effect on the climate, the protection of the natural environment, its contribution to addressing societal challenges at large, the prosperity of its own people, its contribution to raising business capacity in the markets where the Bank operates, and the internal processes that build and secure the confidence of its stakeholders. The timing of this impact is of critical significance, as Europe is rapidly recovering from the economic and social consequences of the successive health, financial, energy and geostrategic crises of the past decade, in a continuous effort to make economies and societies more sustainable, inclusive, resilient and better prepared for the challenges and opportunities of the green and digital transitions.

      Eurobank places more importance on sustainability than ever before. The Bank’s approach to sustainability is attached to its ambitious vision to reimagine its business and its operations in a transformative journey to the next decade towards a lower carbon future, an innovative digital environment that enhances the potential of its clients, a diverse, inclusive and equitable society, and a governance environment that builds trust in the market. The Bank’s ambition for sustainability is expressed through quantified objectives, such as its detailed action plan to align its operations, portfolio and investments to become net zero by 2050.

      ESG strategy

      The Bank supports the sustainable transition of the economy and considers sustainability and climate change as an opportunity. A key strategic objective is to adapt its business and operation in a way that addresses climate change challenges, accommodate social needs within its banking business model, and safeguard prudent governance for itself and its counterparties, in accordance with supervisory initiatives and following international standards / best practices.

      To this end, Eurobank has designed and approved the ESG Strategy related to its financing and products, its internal environment, and the way it is organised and operates. The ESG Strategy includes targets and commitments along two key pillars:

      A. Operational Impact Strategy

      Targets and commitments addressing the impact arising from the Bank’s operational activities and footprint. The Bank’s Operational Impact Strategy focuses on three strategic axes:

      B. Financed Impact Strategy

      The Bank’s Financed Impact Strategy sets targets and commitments addressing the impact resulting from the Bank’s lending and investing activities to specific sectors and clients and focuses on:

      Through a set of actions with measurable targets, the ESG Strategy reflects the Bank’s vision in the short, medium, and long term in relation to the environment, its social footprint, with focus on its people, and the ESG impact on the market and its portfolio.

      In 2022, in line with good practices identified by the ECB, the Bank developed its Financed Impact Strategy focusing on sustainable financing targets / commitments. In particular, the Bank identified total portfolio and sectoral targets with regard to financing the green transition of its clients.

      To better understand how environmental risks affect its business environment so as to update its business strategy and processes, the Bank plans to implement the following initiatives:

      Making progress along these pillars the Bank aims to maximise its contribution to achieving the Paris Climate Agreement’s targets and the United Nations (UN) Sustainable Development Goals.

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      Operational impact strategy, commitments and targets

      The Bank’s operational impact strategy is based on three pillars, each of which is supported by a specific objective, commitments and targets.
      Commitments and targets
      Environmental impact Employer’s impact Societal and Business Impact
      Minimising negative impact across the value chain to promote environmental stewardship. Empowering people to perform at their best through an inclusive environment, promoting ethics and integrity. Driving positive change for entrepreneurs and communities to foster sustainable development and social prosperity.

      1. Achieve net zero by 2033

      • Energy upgrade of buildings and green building certifications
      • Implement energy self-production plan
      • Increase green electricity procured through RES
      • Implement “Journey to Cloud” initiative for IT applications (transformation objective)
      • Promote electromobility and minimise business travel

      4. Embed a diverse and inclusive environment by 2030

      • Maintain equal gender representation
      • Launch additional initiatives to promote diversity and inclusion
      • Increase gender diversity in top management
      • Reduce gender pay gap 

       

      7. Intensify sustainable procurement practices by 2024

      • Incorporate further ESG criteria in procurement tenders
      • Establish a Sustainable Procurement Framework
      • Launch ESG awareness initiatives for suppliers

      2. Accelerate transition towards a paperless banking network by 2028

      • Reduce paper consumption
      • Increase paper recycling

      5. Encompass a wellbeing culture by 2026

      • Implement actions to measure and improve employee wellbeing
      • Promote mental health through targeted actions

      8. Rationalise Socio-Economic Impact by 2028

      • Measure impact of socio-economic impact initiatives
      • Enhance financial inclusion through initiatives targeting specific social groups
      • Support national resilience and recovery through CSR programmes and volunteering

      3. Extended circular economy practices by 2025

      • Implement zero waste action plan
      • Eliminate avoidable single use plastic and minimise e-waste
      • Increase waste recycling of plastics and metals and achieve waste segregation at source

      6. Stimulate an innovative environment by 2024

      • Scale up actions that promote and support an innovative culture
      • Increase digitalisation of products and services

       

      9. Boost transparency and ESG capacity by 2025

      • Εnhance code of conduct awareness
      • Raise internal and customer ESG awareness through learning and targeted initiatives
      • Enhance responsible banking practices
      • Review Remuneration Policy to link it to ESG criteria
      Regarding progress and performance related to short-term operational targets, refer to the “Sustainable Operations” section.

      Financed impact strategy, commitments and targets

      The Bank understands that sustainable development is key to prosperity. To this end, its commitment to support the transition to a greener economy by offering financing solutions that foster growth and sustainable development is at the core of its financed impact strategy.

      As a signatory of the Principles for Responsible Banking (PRB), the Bank has been working on developing targets that will enable it to mitigate the negative and amplify the positive impacts arising from its financing activities.

      Leveraging on tools, and enablers, such as the climate risk assessment exercises and the Sustainable Finance Framework, the Bank’s strategic approach is to support the achievement of the climate and environmental objectives, through financing, advisory and capital raising solutions to current and potential clientele.

      The Bank sets and refines its targets, and is in the process of establishing comprehensive management mechanisms, KPIs and milestones to better implement and monitor these. Aligning the Bank’s activities with the Paris Agreement on climate change, the EU Sustainable Finance Action Plan and the UN SDGs is a key aspect of setting such targets.

      The Bank’s Financed Impact Strategy will evolve based on the following pillars:

      1. Sustainable Financing
        Portfolio and sectoral targets with regard to financing the green transition of the Bank’s clients.
      2. Portfolio alignment
        Transition pathways for corporate clients to achieve specific targets in line with climate transition pathways (1.5oC / 2oC).
      3. Net zero strategy
        Sectoral decarbonisation targets covering the Bank’s lending portfolios with phased target-setting up to 2050.

      Specifically for the “Sustainable Financing” pillar, the Bank had set the following targets in 2022:

      1. Operationalise its Sustainable Finance Framework (SFF) in terms of policies, procedures, and processes.
      2. Expand data collection capabilities for climate risk related data.
      3. Increase penetration of ESG products.
      4. Assure at least 20% of the annual gross new corporate disbursements are green / environmentally sustainable.

      The Bank has set the following targets for sustainable finance disbursements in the following years:

      Portfolio targets

      New disbursements

      • €2 billion in new green disbursements to businesses by 2025.
      • 20% of the annual new corporate disbursements to be classified as Green Environmentally sustainable.

      Retail banking

      • Double Retail green gross disbursements within 2023 compared to 2022.

      Green stock / Exposure evolution

      • 20% stock of green exposures by 2027 for the corporate portfolio (up from 11% in 2022).

      Recovery and Resilience Facility (RRF)

      • Mobilise €2.25 billion total green RRF funds in the Greek economy by 2026.

      Sectoral targets

      Renewable energy

      • 35% of new disbursements in the energy sector to be directed to Renewable Energy Source (RES) financing.

      Green buildings

      • 80% of disbursements related to the construction of new buildings to be allocated to green buildings

      The Bank plans to revisit and update its Financed Impact Strategy on an annual basis, in line with best market practices, aiming to develop a specific approach towards the “Portfolio alignment” and “Net zero” strategic pillars. To this end, the Bank intends to take the following actions:

      Next milestones towards “Portfolio alignment” and “Net zero” strategic pillars
      • Align loan portfolio and investments with a net zero carbon footprint by 2050 by developing a robust action plan and roadmap by Q1 2024.
      • Actively support clients’ climate transition with an ambition to further increase sustainable financing going forward.
      • Further integrate climate risk regulatory requirements into its business strategy and risk management framework, leveraging on key initiatives:
        • Governance, policies, and control framework.
        • Climate risk modelling and data management.
        • Commercial strategies/sector policies.
      • Align with the Task force on Climate Related Financial Disclosures (TCFD) recommendations within 2023 and publish a dedicated Climate Risk Report along with the Annual Report – Business & Sustainability.
      • Actively participate in the Hellenic Bank Association initiative for the creation of an ESG data repository to support sustainable financing, in line with the regulatory requirements.
      The Bank’s detailed approach towards climate-related risks and opportunities is presented in the 2022 Climate Report.

      ESG governance and operating model

      Over the past year, the Bank has taken significant steps to enhance its ESG governance model, and support the roll out of its ESG Strategy, and the integration of Climate Related and Environmental risks. This was achieved through an enhanced governance structure and committees, and integration of CR&E risk management across the 3 lines of defence, based on an upgraded operating model.

      GRI 2-12 GRI 2-13 GRI 2-14

      ESG Governance

      Sustainability at Eurobank is deployed across an ESG governance structure that addresses both regulatory requirements and voluntary commitments. BoD oversight with respect to ESG Strategy is addressed through the inclusion of ESG items in the Board Meetings agenda, as per international best practice.

      The Group has updated its governance structure by introducing and defining the roles and responsibilities in relation to ESG and climate related and environmental risks, embedding regulatory guidelines and market practices.

      The Group applies the elements of the three lines of defence (3LoD) model for the management of operational risk overall. The three lines of defence model enhances risk management and control by clarifying roles and responsibilities within the organisation.

      Eurobank’s ESG governance model also ensures that the management of relevant climate-related and environmental risks is integrated in the Bank’s three lines of defence.

      The updated governance structure aims to further enhance the effective oversight of ESG matters at Management / BoD level.

      Over the past year, the Bank has taken significant steps to enhance its ESG governance model, and support the roll out of its ESG strategy and the integration of ESG and C&E risks.

      Enhanced Governance Structure and Committees

      • Oversight of climate risks at management body level through allocation of responsibilities to BoD and management committees.
      • A BoD Member is responsible for climate-related and environmental risks.
      • Establishment of two Committees that supplement the governance arrangements in the area of ESG / climate risk i.e. Environmental, Social & Governance Management Committee and Climate Risk Stress Test Committee.

      Integration of CR&E Risk Management across the three lines of defence

      • Dedicated teams within CIB and Retail Divisions, for overseeing ESG and sustainable financing activities.
      • Automated process established to assess and classify sustainable opportunities.
      • ESG Division responsible for the design and monitoring of the Operational Impact Strategy and oversight of the Bank’s overall ESG performance.
      • Group Climate Risk Division responsible for managing and monitoring CR&E risks, PMO office for the implementation of the Climate Related and Environmental risks roadmap, preparation and submission for approval of the Financed Impact Strategy, along with Business and Risk Units.
      • Intensive training on sustainable finance and climate risk to Bank personnel.

      The roles and responsibilities of the key governance bodies / committees / divisions are as follows:

      Board of Directors (BoD / Board)

      Operates guided by Group’s vision, values and standards; sets the strategic aims of the Group, assesses the potential risks and manages them sensibly and efficiently; ensures that robust processes are in place to monitor organisational compliance with the agreed strategy and risk appetite and with all applicable laws and regulations. The Eurobank Holdings / Eurobank Boards have assigned an executive member as the BoD Member responsible for CR&E risks. As part of his duties the responsible BoD member updates the BoDs of the Eurobank Holdings and of the Bank on climate change and environmental related risks at least on a semi-annual basis.

      Board Risk Committee (BRC)

      Oversees implementation of and adherence to the Bank’s risk policies, including climate-related and environmental risks, in order to assess their adequacy against the approved risk appetite and strategy; determines the principles which govern climate-related and environmental risk management across the Bank and the Group in terms of identifying, measuring, monitoring, controlling and mitigating risks; approves risk principles, risk policies, procedures and methodologies. Additionally, the Group has established two Committees that supplement the governance arrangements in the area of ESG/Climate risk.

      Management Risk Committee (MRC)

      Oversees the risk management framework of the Group. As part of its responsibilities, the MRC facilitates reporting to the BRC on the range of risk-related topics under its purview, including CR&E risks. The MRC ensures that material risks are identified and promptly escalated to the BRC and that the necessary policies and procedures are in place to prudently manage risk and to comply with regulatory requirements.

      Environmental, Social & Governance Management Committee (ESG ManCo)

      Provides strategic direction on ESG initiatives; reviews the ESG Strategy prior to approval; ensures the integration of the elements of the ESG Strategy into the Bank’s business model and operations; regularly measures and analyses the progress of the ESG goals and performance targets; ensures the proper implementation of ESG-related policies and procedures, reviews and approves ESG-related reports and ensures that they are in accordance with related Standards and Guidelines. It is chaired by the BoD Member responsible for climate-related and environmental risks.

      Climate Risk Stress Test Committee (CRSTC)

      Is responsible for designing and executing the Group’s CRST Programme; coordinates all activities relating to Climate Risk Stress Testing including risk identification, scenario design and stress test execution; reviews and challenges the output at each stage of the process prior to escalating to the Executive Board.

      Going forward, the Bank aims to enhance the CR&E risk oversight responsibilities for the management body by introducing climate risk related aspects in the Bank’s fit and proper criteria, considering relevant ECB consultation. Additionally, the Bank plans to provide dedicated training on CR&E risks to the management body members and to further update the Terms of Reference (ToRs) of Board and Management Committees to incorporate and allocate additional responsibilities for the oversight of the CR&E risks.

      ESG Division

      The ESG Division acts as a custodian of ESG Principles and Culture to enhance the Bank’s Impact, and as a cross functional coordinator to ensure alignment on ESG issues and interdependencies, as well as compliance with relevant existing and upcoming operational impact related regulations. Specifically, the ESG Division is responsible for designing / reviewing the ESG Operational Impact Strategy and monitoring its implementation, with a leading role in selected areas, providing also support to international subsidiaries. Furthermore, the ESG Division coordinates and prepares ESG operational impact-related reports in line with applicable standards/ regulations, in cooperation with involved subject-matter responsible Units, while it is responsible for the UNEP FI PRB implementation. Being responsible for the oversight of the Bank’s overall ESG operational performance, its key roles include the centralised management of ESG Ratings, seeking continuous improvement in related scores. The ESG Division also manages the ISO Management Systems under the related provisions of equivalent policies and the Operational Impact Strategy. The ESG Division collects, calculates and reviews data related to the operational impact, in line with the associated certified management systems, while it also ensures implementation of corresponding initiatives (e.g. operational net zero transition, energy self-production, energy and emissions monitoring, green building certifications, recycling and circular economy management).

      Business Units

      The Business Units, namely, Corporate and Investment Banking and Retail Banking, are primarily involved in executing all portfolio-related ESG activities, including the implementation of the financed impact strategy. Key responsibilities are classified under three main categories:

      1. ESG Strategy
        Executing and monitoring financed and specific operational ESG goals and performance targets.
      2. Sustainable Financing/Funding and Investments
        Identifying sustainable financing opportunities and designing relevant solutions and ESG products.
        Performing Sustainable Financing assessment, in line with the Sustainable Finance Framework.
        Implementing and monitoring Sustainable Investment and Green Bond Frameworks.
      3. ESG and Climate Risk Management
        Performing the ESG Risk Assessment.
        Identifying and implementing mitigation action plans for ESG and Climate related risks.

      To effectively manage ESG and sustainable financing related activities, a dedicated function, the Sustainability Center of Excellence is being initiated in 2023. In the meantime, CIB ESG coordinator is responsible to oversee ESG and sustainable financing activities. Regarding the Retail Banking Division, the Bank has introduced two ESG coordinators, who are responsible for organising and supporting ESG-related activities.

      Group Climate Risk Division (GCRD)

      The GCRD has the overall responsibility for overseeing, monitoring and managing CR&E risks. Specifically, the GCRD operates as the Project office responsible for the implementation of the climate related and environmental risks roadmap (“Programme Field”), with a coordinating and supervisory role on all related project streams to ensure alignment with the Bank’s business strategy and the regulatory authorities’ expectations. In this context, the GCRD ensures the implementation of corresponding environmental and sustainability initiatives (frameworks, policies, procedures and products) and compliance with relevant existing and upcoming regulations, under an ongoing bank-wide programme, in line with the agreed supervisory roadmap, which is accelerated where possible. The GCRD is also responsible for coordinating with Business and Risk Units, preparing and submitting for approval the Financed Impact Strategy, and monitoring its implementation. Furthermore, the GCRD leads the 2nd line of defence independent sustainable lending re-assessment process. Specifically, in the context of implementing the approved SFF, the Division is responsible for assessing the sustainability features of new loans and products according to the criteria set within the SFF. Going forward, the role of the GCRD will be expanded, covering the management of ESG risks.

      Group Compliance General Division

      The Group Compliance General Division monitors compliance with ESG/climate-related regulations and standards. Its key roles include:

      Regulatory compliance

      • Monitors the regulatory environment and emerging trends around sustainable financing, informs the 1st and 2nd lines of defence and may propose required changes/enhancements for the relevant policies and documents regarding sustainable financing offerings.
      • Issues a regulatory bulletin which refers to regulatory developments and their impact on the Bank’s operation in terms of ESG risks.
      • Complements the risk management framework and monitors the alignment of institutions’ activities with applicable laws, rules, regulations and standards, including ESG regulatory aspects.

      Compliance Risk Assessment

      • Assesses conduct risk in relation to ESG.
      • Performs compliance checks with regard to ESG-related conduct risk.

      Policy Updates

      • Maintains the Bank’s conduct related policies (e.g. AML and Sanctions, Anti-Bribery and Corruption, etc.), including their ESG elements.

      Product offering monitoring

      Via its participation in the Products and Services Committee and process, provides advice and checks on Bank’s ESG product offerings, including that promotional statements do not misrepresent products or services to customers.

      Group Operational Risk Sector (GORS)

      The GORS is responsible for establishing an effective operational risk management framework and for overseeing its implementation across the Group and across all lines of defence, aligned with regulations, standards, good practices, Internal Policies, Internal Governance Control Manual (IGCM) and with Group’s business objectives and values.

      In order to further strengthen the existing Operational Risk Framework in alignment with increased regulatory expectations, as defined in relevant EBA Guidelines and BCBS Principles, the BoD has identified that the management of Non-Financial Risks (NFRs) has become increasingly critical for the Group and decided to address them holistically. Non-Financial Risks include operational risks as well as aspects of ESG risks, strategic risk and reputational risk, and are gradually becoming integrated to the Non-Financial Risks Framework.

      In this context, Operational risk arising from ESG factors is being managed in accordance with the requirements set out in the Non-Financial Risk Management Policy and other relevant operational risk management policies.

      Internal Audit Group (IAG)

      In recent years, the IAG has recognised ESG internal controls and the risk management framework as an area of focus, and has taken several initiatives and actions within its strategy. These aim to ensure adequate coverage of the area, in line with the Bank’s strategy as well as industry and regulatory developments.

      • Methodology / Infrastructure – The management of ESG risks and the Bank’s initiatives are recognised as a separate auditable area, subject to risk-assessment. Furthermore, climate risk was recently recognised as a separate risk category assessed in all relevant areas of the audit universe, in line with the Bank’s risk taxonomy. This category will be extended to cover the whole spectrum of ESG risks in line with respective developments in the Bank’s risk definitions. The Bank’s climate risk definition currently covers both physical and transition risk drivers of the C&E risk. The IAG is in the process of operationalising the change and reflect it in the IAG’s risk assessment, audit planning and audit reports, with the aim to monitor the IAG’s coverage in terms of timing and findings, assisting in appropriate future planning and monitoring in this area, including more focused monitoring of relevant issues by the Bank’s Board and the AC. Due to timing considerations, the assessment of the C&E risk per AU line will be reflected in the 2023 risk assessment which informs the 2024 AP.
      • Resources – The IAG conforms with the standards of the Institute of Internal Auditors (IIA) International Professional Practices Framework (IPPF), ensuring among others the “appropriateness and sufficiency” of IAG Resources. “Appropriateness and sufficiency” of resources engaged in all audit assignments is key for the IAG. Appropriateness refers to the right mix of knowledge, skills, and other competencies, and sufficiency refers to the quantity of resources needed to accomplish the IAG role with due professional care. Traditionally, the majority of IAG staff possess professional qualifications/certifications from internationally recognised professional bodies, such as ICAEW, ACCA, CIA and CISA. The IAG has extended its pool of professional qualifications/certificates to the area of ESG, with one staff member certified in Sustainability and Climate Risk, and with more auditors to commence relevant certifications from 2023 onwards. The IAG intends to experiment with the available industry professional body offers, such as GARP’s Sustainability and Climate Risk (SCR®) Certificate, CFA’s Certificate in ESG Investing, ICAEW Sustainability Certificate, etc. This comes in parallel with other initiatives aimed at upskilling through dedicated training sessions (e.g. Bank internal, Moody’s, webinars), “on-the-job” upskilling (participation and consultation in the Bank’s projects and initiatives around ESG) and increased awareness (e.g. establishment of IAG’s ESG Focus Group, sharing knowledge on ESG practice and regulatory initiatives, targeted presentation to AC members). At this stage, the IAG has opted to embed the right mix of skills and knowledge within its existing organisational structure, given the multifaceted nature of ESG risks, affecting all businesses and operations of the Bank, to a siloed approach, aiming at a holistic consideration of the Bank’s ESG risks. This approach will be revisited in the future.
      • ESG / Audit Universe Coverage and Audit Planning – Following the infrastructure steps described above, since 2021 the IAG has carried out several assignments around ESG, in parallel with the monitoring of the Bank’s initiatives in this area. Specifically, the 2021 annual audit plan (AAP) included participation in the Bank’s ESG Programme Field, and a consulting assignment on ESG reporting. The 2022 AAP included a consulting assignment on the Climate Risk Stress Test 2022 and the commencement of audit assurance work around the operationalization of the C&E Risk Management Framework within targeted areas of the Bank (e.g. Transformation Project; Investments). A similar approach has been planned for the 2023 AAP, with a focus on ESG matters in targeted reviews, taking into account the ECB’s 2022 report on “Good practices for C&E risk management” (e.g. Risk Management and Governance), complemented by a consulting assignment around the Pillar 3 ESG Disclosures. Finally, the IAG has considered the supervisory requirements and specifically the ECB’s report on “Good practices for C&E risk management”, to develop its three-year audit plan around ESG risk, which will be completed within the 2023 risk assessment and audit planning exercise, to be approved by the AC by year-end (indicative areas of focus are governance, regulatory compliance, risk management and disclosures). Key areas of focus include risk materiality, governance and strategy, C&E risk management framework, products design and offering, disclosures, etc. These initiatives come in addition to the existing coverage by IA in ESG-related areas, such as consideration of AML-perspectives in loan origination (governance-social financing practices), review of compliance with code of conduct or market practice codes (governance operational and financing practices) and relevant non-recurring and forensic audit work. The outcome of IAG assignments is reflected in the audit reports, which are distributed to Management, the AC and the external auditors. The IAG meets frequently with Senior Management to discuss audit findings and the progress made in resolving them. It also prepares quarterly reports for the Audit Committee.

      The IAG is also dedicated to integrating ESG friendly practices into its operations, by increasing staff awareness, taking actions to reduce its environmental footprint and positively impact the environment and contribute to society (e.g. charity work and/or contributions), in parallel with the implementation of good governance and human capital management practices. In summary, the IAG places significant focus to ensure that adequate coverage is provided in the field of ESG risks, as well as that its operations integrate ESG aligned and impact practices. Overall, the IAG is committed towards the mindset shift that ESG requires. It recognises the crucial role of ESG factors in business operations and decision-making, aiming at a proactive and gradual integration of an ESG mindset into audit processes. The aim is to drive positive impact and promote sustainable practices.

      Alignment of the Remuneration Policy with the Bank’s environmental and social objectives

      The Bank promotes the integration of sustainability factors into its remuneration policies. The Bank’s Remuneration Policy, which applies to all Bank employees and covers their total remuneration, forms an integral part of its corporate governance practice. It promotes sound and effective risk management and is consistent with the objectives of the Bank’s business and risk strategy, corporate culture and values, risk culture, including ESG factors, as well as the long-term interests of the Bank, and should not encourage excessive risk-taking on behalf of the Bank.

      The Bank aims to integrate climate and environmental risk aspects into its Remuneration Policy. In particular, within 2023, the Remuneration Policy will be linked to specific climate risk performance indicators/KPIs to monitor progress towards achieving the Bank’s targets in terms of climate risk management, financed and operational impact.

      Operating model

      Dedicated group-wide programme to address the requirements of the ESG ecosystem

      The Group launched an initiative, namely “Programme Field”, with an aim to develop and implement its sustainability strategy, integrate climate risks, fulfil its UNEP FI PRB signatory commitments and ensure readiness to comply with upcoming sustainability-related regulations (i.e. EU Green Deal, ECB Guide on climate-related and environmental risks, EU Taxonomy Regulation, etc.). Through this initiative, the Group has also identified, assessed and implements climate-related and environmental (CR&E) risk action plans within the three lines of defence.

      Integration of ESG Risk Management across the three lines of defence

      The ESG Risk Governance involves various key stakeholders (i.e., business functions, Units, and Committees). The Group applies a model of defined roles and responsibilities regarding the management of ESG risks across the 3 lines of defence, considering all relevant guidelines and regulatory requirements:

      • 1st line of defence
        The business units (CIB and Retail Banking) are responsible for assessing, managing and monitoring their risk levels in all risk categories, including ESG risks. The CIB ESG coordinator, along with the Retail Banking Division ESG coordinators, are responsible for undertaking all relevant ESG and sustainable finance activities. In addition, the role of the ESG Division in the 1st line of defence has been revisited to include the responsibility for the Operational Impact Strategy as well as Sustainability Reporting, Environmental & Energy Reporting (EMAS Report, Greenhouse Gases Emissions Report per ISO14064) and ESG ratings.
      • 2nd line of defence
        The Group Risk Management General Division (GRMGD) is independent from the business units and has full responsibility in setting the risk strategy and risk appetite framework, including ESG risks. Within the GRMGD, the dedicated Group Climate Risk Division has been established, with the overall responsibility for overseeing, monitoring, and managing ESG risks and sustainable financing activities, in cooperation with the other GRMGD sectors/divisions, as well as with Group Compliance General Division.
      • 3rd line of defence
        The Internal Audit Group (IAG) independently reviews the adequacy and effectiveness of the internal control framework in place regarding ESG risk management, following a risk-based approach.

      Sustainable Finance Framework Assessment Tool

      Eurobank has developed a web-based tool automating the process for assessing and reviewing financings against the criteria and alignment levels of the Sustainable Finance Framework (SFF). The tool is currently used for the Corporate Portfolio, and underpins the classification, evaluation and approval of sustainable financing opportunities in a structural, workflow-based, manner. Moreover, the SFF assessment tool guides its users so they may identify financing opportunities and proactively engage with clients on sustainable financing dialogue.

      ESG awareness and capacity building

      Eurobank is placing great emphasis on building capacity among its employees, so they are able to support its clients on their sustainability journey and their green transition. To this end, in addition to launching ESG initiatives for its clients, Eurobank implements an ESG upskilling plan for its employees. Eurobank’s internal awareness sessions regarding ESG and CR&E matters cover both members of the management body and other stakeholders across the Bank (e.g. business units). Additionally, the Bank has offered training to stakeholders from all three lines of defence (i.e. business units, risk management units, Internal Audit) regarding the SFF, to enhance their understanding. Specifically, the following awareness initiatives took place within 2022:

      Employee ESG awareness training modules

      Within 2022, the Bank launched “ESG Thinking”, an ESG awareness programme for employees, consisting of the following modules:

      • Module 1 – ESG and World
        Fundamentals of ESG, megatrends and related risk and opportunities as well as the importance of ESG within an organisation described through business cases.
      • Module 2 – ESG and the Bank
        Key drivers of ESG, its impact on the banking industry and the ESG regulatory landscape. The ways in which the Bank engages with ESG through frameworks, initiatives and products.
      • Module 3 – ESG and Me
        Content aiming to cultivate an open and growth mindset when dealing with ESG issues by motivating employees to take personal action through practical steps personally and professionally.

      In 2022, 2,543 employees participated in the ESG Thinking programme, totalling 3,132 learning hours.

      Dedicated training sessions to Business Units

      Apart from the general upskilling programmes, within 2022-2023 the Bank conducted dedicated sessions tailored to the requirements of specific business units and functions, crucial for delivering the Bank’s strategy. These sessions focused on the following topics:

      • ESG ecosystem, Sustainable Finance Framework (SFF) and assessment tool:

      Introduction to the ESG ecosystem, the role of the financial sector in driving action for sustainable development and the relevant regulatory framework.

      Presentation of the approaches and eligible activities of the SFF and its integration into the loan granting process.

      Presentation of the workflow and functionalities of the SFF assessment tool along with practical application on case studies.

      • Use of sustainability reporting for identifying sustainable financing opportunities:

      Introduction to sustainability reporting and major reporting frameworks and standards. Demonstration of the link between the Bank’s SFF and information in sustainability reports. Case studies identifying key sustainability report elements and their link to sustainable financing opportunities

      During 2022-2023, there were over 500 employee participations in the dedicated training sessions for the Bank’s business units, totalling over 1,300 hours of training.

      Adhering to the Principles for Responsible Banking

      Fully complying with the obligations it has undertaken as a signatory of the Principles for Responsible Banking, Eurobank issued its 3rd PRB Progress Report as part of the Annual Report 2022 Business and Sustainability Report. The PRB Report outlines the actions undertaken and the progress made towards implementing the 6 Principles.

      The 6 Principles

      In September 2019 Eurobank signed the Principles for Responsible Banking, affirming its commitment to play an active role in implementing the UN Global Sustainable Development Goals (SDGs) and the Paris Agreement on Climate Change. The Principles for Responsible Banking are supported by over 220 banks around the world and were shaped by the global banking industry through the United Nations Environment Programme Finance Initiative (UNEP FI).

      All actions towards implementing, and fully embedding the Principles for Responsible Banking by 2024, are of immense importance, as these Principles define the role and responsibilities of the banking sector in shaping a sustainable future, allowing banks to include sustainability in all their activities and identify areas that need improvement.

      Transparency and accountability are essential elements, therefore, public reporting of Eurobank’s targets, implementation and progress is an integral step within the context of the Principles.

      In full compliance with its obligations relating to implementing the Principles, Eurobank has issued its 3rd PRB Progress Report as part of the Annual Report 2022 Business and Sustainability Report, for the period from March 2022 to March 2023 (Appendix VI).

      In its 3rd PRB Progress Report, Eurobank discloses the actions undertaken and the progress made towards implementing the 6 Principles during the last 12 months, laying emphasis on the elements regarding impact analysis, target setting, target implementation and monitoring and governance structure, which were externally assured for the first time ever.

      Key highlights on the Bank’s 2022 performance and progress towards implementing the Principles include:

      Principle 1: Alignment

      The Bank approaches ESG in a holistic manner, in line with the commitments it has undertaken, the regulatory framework requirements and globally acknowledged best practices. It prioritises the management and mitigation of any underlying economic, environmental and social risks arising as an integral part of developing products and services, while complying with the applicable regulatory framework.

      Furthermore, the Bank develops and improves mechanisms to identify, measure and communicate impact, across the full spectrum of its activities. It redefines sustainable development actions and goals, taking into consideration the Sustainable Development Goals (SDGs), Principles for Responsible Banking and other international agreements and trends (e.g. UN Global Compact).

      Principle 2: Impact and Target Setting

      The Bank has defined its strategic commitments and set specific measurable short and long terms targets (described in the ESG Strategy section).

      The commitments and targets were developed taking into account, among others, the significant impact areas identified through the impact analysis conducted in the context of implementing the UNEP FI Principles.

      Specifically, the targets aim to mitigate negative impacts arising from the Bank’s financing activities to its consumer and business banking clients in the climate and resource efficiency / security areas.

      Regarding the Bank’s progress, it has overachieved its 2022 target for at least 20% of the annual gross new corporate disbursements to be classified as green /environmentally sustainable.

      As a first step towards its commitment to align its portfolio with climate transition pathways and set net zero targets, the Bank has calculated and disclosed its financed emissions and is planning to set decarbonisation targets covering its portfolio, with the ultimate objective of reaching Net Zero by 2050.

      Principle 3: Clients and Customers

      The Bank has developed an approach to support its clients’ green transition and encourage sustainable practices, consisting of the following elements:

      • Guiding frameworks defining the approach and criteria for classifying its financing and investing activities as sustainable
      • Direct financings aiming to finance projects that meet green eligibility criteria, or sustainability linked loans, focusing on leveraging clients’ commitments towards green transition.
      • Financing solutions for consumers and small businesses that aim to deliver positive environmental impacts.
      • Advice to current and potential clients aiming to support their green transition efforts.
      • Incorporation of climate-related and ESG risks in the client financing evaluation process.
      Principle 4: Stakeholders

      An integral part of the Bank’s approach to sustainability is to foster strong relationships of trust, cooperation and mutual benefit with all stakeholders affected by its activities directly or indirectly. In this context, the Bank promotes 2-way communication and develops an ongoing dialogue with stakeholders, so as to be able to actively meet the expectations, concerns and issues raised by all its stakeholders.

      Within its Materiality Analysis process, the Bank also engaged its stakeholders with topics relevant to the Bank’s sustainability activities and responsible financing products, aligned with the Principles for Responsible Banking. In the context of extending its positive impacts, the Bank seeks to participate in companies with strong growth prospects, focusing on extroversion and environmental protection.

      Principle 5: Governance and Culture

      The Bank has deployed an ESG governance structure that addresses regulatory and voluntary requirements/commitments and is responsible for delivering the ESG strategy.

      The ESG governance structure has defined the roles and responsibilities in relation to the delivery of the ESG strategy and climate related and environmental risks.

      Over the past year, the Bank has taken significant steps to enhance its ESG governance model, and support the roll out of its ESG strategy and the integration of ΕSG risks which include:

      • BoD level responsibilities and oversight of the ESG strategy and climate-related / ESG risks.
      • Establishment of Committees dedicated to ESG / climate risks.
      • Integration of climate risk management across the three lines of defence.
      • Establishment of dedicated teams within the corporate and retail divisions responsible for overseeing and delivering sustainable financings.
      • Automated process established to assess and classify sustainable opportunities.
      • Intensive training on sustainable finance and climate risk to Bank personnel.
      Principle 6: Transparency and Accountability

      The Bank promotes transparency on its ESG performance by:

      • Participating in reputable ESG rating indices,
      • Publicly disclosing progress on PRB commitments that for the first time is being assured by an independent assurer.
      • Publicly disclosing information according to standards/ frameworks (e.g. GRI, commitment to TCFD).
      • Publishing an ESG newsletter on a quarterly basis.

      The Bank’s complete progress report against the 6 Principles for Responsible Banking, through the self-assessment template, is presented in Appendix VII.

      ESG ratings

      Eurobank actively participates in internationally renowned ESG ratings to highlight the continuous improvement in its environmental, social and governance performance, upgrade the relevant disclosures, and further enhance investor confidence in its practices. In 2022 the Bank posted improvements in important ESG ratings compared to 2021. Especially with respect to Sustainalytics, the Bank achieved the international “ESG Industry Top Rated” distinction and has been added to the Sustainalytics' Top-Rated ESG Companies List. 

      ESG rating and indices

       
      Core ESG ratings

      ESG Ratings and Indices FY2021 FY2022*
      SUSTAINALYTICS 15.3/ Low Risk
      12.1/ Low Risk ▲
      MSCI BBB BBB
      S&P GLOBAL 48 50 ▲
      MOODY’S (FORMER VIGEO EIRIS) 38 50 ▲
      Other ESG ratings
      ESG Ratings and Indices FY2021 FY2022*
      CDP D D
      ATHEX ESG INDEX

      REFINITIV 69 79 ▲
      FTSE4GOOD
      ISS ESG E:2 / S:3 E:2 / S:2 ▲
      BLOOMBERG GENDER- EQUALITY INDEX (GEI 2022)  (GEI 2023) 
      ▲improvement *ESG Ratings scores as recorded by 31.12.2022.

      Stakeholder engagement and materiality analysis

      Eurobank promotes two-way communication and develops ongoing dialogue with stakeholders, to meet their expectations and concerns. In terms of its materiality analysis, it adopted the new GRI Standards (2021) methodology, to identify, assess, prioritise and validate the positive and negative impacts that the Bank creates or may create on the environment, people and the economy.

      GRI 2-14 GRI 2-29 GRI 3-1 GRI 3-2 GRI 3-3 ATHEX C-G3 ATHEX C-S1

      Stakeholder engagement

      An integral part of Eurobank’s approach to sustainability is to foster strong relationships of trust, cooperation and mutual benefit with all stakeholders affected by its activities, directly or indirectly. In this context, Eurobank promotes two-way communication and develops ongoing dialogue with stakeholders, to be able to actively meet the expectations, concerns and issues raised by all its stakeholders.

      Stakeholder group Cooperation framework and expectations Means of communication and response
      Board of Directors Board of Directors BoD member assigned as responsible for climate-related and environmental
      risks at Group level.
      • Regular and ad-hoc meetings.
      • Progress reports.
      Executive Management
      • CEO-appointed ESG Management Committee.
      • ESG-related issues raised at ExBo level.
      • Regular and ad-hoc meetings.
      • Progress reports.
      Investors, Shareholders and Investment Community Timely reporting of accurate and complete information on the Group’s performance and strategy.
      • Annual General Meetings and Extraordinary General Meetings of Shareholders.
      • Investor Relations Sector.
      • Investor Information Service Division.
      • Annual Financial Report and Annual Report – Business & Sustainability.
      • Disclosure of financial results on eurobankholdings.gr and eurobank.gr
      • Press Releases and Regulatory Announcements.
      • Disclosure of information on eurobankholdings.gr and eurobank.gr
      Employees Timely information on issues concerning the Bank, the development and progress of skills, as well as employee engagement and benefits.
      • Sustainable dialogue with employee representatives at company and industry level.
      • Staff-Management communication via regular meetings, breakfast with the Management and events.
      • Communication through the HR4U contact centre.
      • Connected, the Bank’s internal portal.
      • Axiopoio, modern employee performance assessment system.
      • Upskilling and Reskilling of Employees.
      • Social and environmental issue awareness campaigns.
      Business Community
      (including corporate networks, entrepreneurship, industry associations, financial institutions and start-up entrepreneurs)
      • Mutual cooperation and open communication driven by ensuring the interests of the business community.
      • Showcasing and promoting new businesses based on specified criteria and transparent procedures.
      • Systematic dialogue with professional associations, chambers of commerce and chambers of industry as well as with the Hellenic Bank Association.
      • Strategic collaborations with major organisations [Hellenic Federation of Enterprises (SEV), Greek Tourism Confederation (SETE), Panhellenic Exporters Association (PSE), and Greek International Business Association (SEVE) to support entrepreneurship, innovation and the extroversion of Greek enterprises.
      • Hosting of special events to enhance connection between Greek firms and foreign exporters.
      • Growth Awards in partnership with Grant Thornton.
      • Thematic events to targeted entrepreneurs.
      • Webinars and native articles via Digital Academy for Business to boost business competitiveness on its digital transformation journey.
      • Implementation of the egg - enter grow go programme and Tourism and Culture Cluster in partnership with Corallia.
      Civil Society
      (including communities, NGOs, the academic and scientific community, international organisations, and the Media)
      • Engaging 3rd parties in CSR initiatives designed and implemented by the Bank
      • Responding to 3rd party actions with a social cause
      • Cooperation with the Media to ensure optimum and effective promotion of the Bank and its products and services.
      • Meetings with NGOs.
      • Written replies to all incoming requests.
      • Invitation to organisations and associations to participate in CSR initiatives designed and implemented by the Bank.
      • Support for organisations and associations in the form of sponsorships and donations.
      • Participation in volunteer actions• Cooperation with the academic community (e.g. egg Advisory Board).
      • Press Releases whenever necessary.
      • Interviews.
      • Advertising.
      • Social media.
      Customers and Clients Responsible information, customer service and provision of products and services with a deep sense of respect and transparency.
      • Retail banking branch network and electronic / digital channels (ΑΤΜ, APS e-Banking, Eurobank Mobile App, v-Banking, Digital On boarding).
      • Expert relationship managers (RMs) at branches and v-Banking (Personal Banking, Retail Business Banking, Expert RMs and International RMs for v-banking).
      • Operation of special purpose branches: International Branch (golden visa, non dom, etc. clients) Retail shipping client branch and Legal Branch.
      • Private Banking network.
      • Dedicated Corporate Service Centres.
      • 24/7 customer call centre via EuroPhone Banking for retail, private and corporate customers.
      • Economic reports and reviews on a regular basis, by the analysts and economists of the Eurobank Research team.
      • Ease of access via collaboration with the Hellenic Post (ELTA).
      • Publicly available information and communication through eurobank.gr and eurobankholdings.gr
      • Enhanced communication with clients – video calls / click2chat / automated customer appointment.
      • Automated customer journeys through digital and alternative channels offering a unique customer experience.
      • Online sales and lean processes to cover client needs without physical presence.
      • Active customer input in market research programs, thus being part of customer propositions’ creation.
      • Social media channels.
      • Direct campaigning (viber, email, sms).
      • Webinars and native articles via Digital Academy for Business to boost business competitiveness on its digital transformation journey.
      • Newsletters.
      • Hosting of special conferences.
      • Retail Business Banking informational events (BB Tourism, Financing, etc).
      • Briefings with customer groups.
      • Non-banking services via wide network of selected partners (Ecosystems).
      • Customer satisfaction and NPS surveys.
      • Customer interviews based on Design Thinking Methodology approach.
      • Centralised Complaints Management.
      • Customer Service Improvements.
      • Initiatives for people with disabilities.
      • Focus group discussions with RBB RMs for identifying ESG expectations of clients.
      • Limited Edition annual magazine to Private Banking clients.
      • Informative “Your Personal Experts” podcasts to Personal Banking clients.
      • Informative Client Events fοr Private and Personal Banking Clients.
      Government and Regulators Compliance and harmonisation with the supervisory and regulatory framework.
      • Meetings, cooperation and consultations with institutional representatives of regulatory authorities, consumer associations, the Hellenic Ombudsman for Banking-Investment Services, Hellenic Bank Association etc.
      • Provision of data and information, report compilation, meetings.
      Suppliers and Partners
      • Cooperation based on transparent procedures and specified criteria to achieve mutually beneficial agreements.
      • Communication with third-party partners,to investigate further tailor-made business offerings.
      • Electronic tendering system (e-procurement solution).
      • Supplier evaluation platform and procedure.
      • Meetings (whenever necessary).
      • Regular communication (mobile phone, online using sharing collaboration tools).
      • Informing suppliers about the Bank’s Procurement Policy and Tendering Process.

      Μateriality analysis

      Eurobank’s materiality analysis is the key process used to define the Annual Report 2022 – Business & Sustainability contents. Adopting the new GRI Standards (2021) methodology, Eurobank identified, assessed, prioritised and validated the positive and negative impacts that the Bank creates or may create on the environment, people and the economy.

      Prioritising the identified impacts contributed to determining the Bank’s sustainable development materiality topics. The methodology was carried out along 4 phases:

      Understanding the organisation’s context

      Overview of business model: An initial overview was performed of the Bank’s activities and business relationships, and the sustainability context in which these occur, drawing upon key internal documentation and available relevant material to gain an informed understanding of the Bank’s products and services, its portfolio, business relationships, and entities.

      Identifying impacts

      Overview of stakeholders: A mapping of the Bank’s key stakeholders was performed, through a review of internal documents and available relevant material, to identify the individuals and groups whose interests are affected or could be affected by the Banks’s activities.

      Identifying operational and financed impacts: The impacts created from the Bank’s products and services, as well as its supply chain and operations, on the economy, environment and people were identified. To develop the pool of issues / impacts to be assessed and prioritised, the Bank considered cross-sectoral, sectoral and bank-specific issues, as well as the UNE FI Impact Radar and impact analysis tool.

      All actual and potential positive and negative impacts that the Bank creates through its corporate, business and consumer banking portfolios were identified and mapped against the impact areas and topics of the UNEP FI Impact Radar1.

      Assessing impacts

      e-survey: To prioritise the identified impacts and determine the material topics for strategic and reporting purposes, a dedicated electronic survey (e-survey) was set up, targeted at internal and external stakeholders. This was used to assess both positive and negative impacts (actual and potential).

      Assessment criteria: The significance of positive impacts was assessed by stakeholders, who took into consideration their scale and scope, whereas the severity of negative impacts was assessed by considering their scale, scope and irremediable character.

      Prioritising and validating impacts

      Data analysis: The data collected were analysed and impacts were prioritised by taking into consideration their significance compared to the rest of the impact areas, as well as the Bank’s operational strategy. Impacts were then mapped against material topics based on their content and themes.

      Materiality threshold: A materiality threshold was set to determine which topics are material.

      Finalising the material topics list: The material topics were presented to and cleared by the ESG ManCo and further elaborated by the Programme Field II.

      The above materiality assessment was conducted in accordance with GRI standards. Regarding the ESG Risk Identification and ESG Risk Materiality Assessment please refer to “ESG in Risk Management” section, while extensive analysis for Climate Related & Environmental Risks can be found in the Group’s Climate Risk Report.

      1 The Impact Radar is a compilation of Impact Areas and Topics across the 3 pillars of sustainable development. These are used for the purpose of capturing and managing positive and negative impacts of financial institutions and their clients or investees on people, communities and the environment.

      Material topics

      As per the final stage of the materiality analysis process, the list of topics below was prioritised as material. These formed the basis for determining the contents of this Report, as well as the disclosures of relevant key performance indicators.

      Impact materiality

      Impact Material topics Main impact generated Type of impact Actual/
      Potential
      Main reference SDGs
      Operational Energy and emissions in operations Positive impacts through energy reduction and efficiency in operations

      Actual

       

      Negative impacts through in-house operations which contribute to the release of emissions as a direct factor contributing to climate change Actual
      Operational National resilience/impact on communities Positive impacts through internal management systems and CSR initiatives (e.g. the “Moving Family Forward” initiative for the demographic issue, donations to Civil Protection Authorities and to the National Healthcare System, donation for fire protection and sustainable reforestation) that mitigate the long-standing effects of natural disasters, improve stakeholders’ access to healthcare and support the demographic challenge Actual

       

      Operational Employment practices/ Human Capital development Positive impacts through direct, indirect and induced jobs created by the Bank’s operations, across its value chain, as well as through provision of competitive wages and benefits, in the context of the Bank’s remuneration policy Potential
      Operational Fostering Innovation Positive impacts through stimulating an innovative environment within the Bank and towards its customers, developing new sustainable products and offering innovative services while utilising digital tools, as well as through CSR activities (e.g. through egg - enter grow go) to Micro and Small and Medium-sized Enterprises Potential
      Operational Data security and customer privacy Positive impacts through internal management systems and initiatives that protect stakeholders’ data privacy Actual
      Operational Business ethics and integrity Positive impacts through operational practices and initiatives that improve stakeholders’ ability to benefit from effective, accountable and inclusive institutions, which support business ethics and integrity Actual
      Operational Diversity, equity and inclusion Positive impacts through internal management systems and CSR initiatives that improve stakeholders’ ability to live free from gender/sexual/ethnic/racial discrimination and ageism, and for vulnerable groups to live and prosper free from discrimination Actual  
      Financed Sustainable financing and investment offerings The Bank provides sustainable finance products and services that promote green and social investments and incentivise improvement of its clients’ ESG performance Actual  
      Sustainable financings do not meet globally acceptable sustainable finance criteria, resulting in greenwashing Potential
      Financed Portfolio climate transition The Bank actively contributes to GHG reduction ambitions and targets, set by the EU, regulations, central governments and other bodies, through its sustainable financings and integration of climate risk in the risk management framework Actual  
      The Bank’s business strategy may encompass the continuation of financing to carbon-intensive sectors Potential
      Financed Integration of ESG in risk management The Bank evaluates the impact of climate scenarios to the resilience of its counterparties, resulting in the timely identification of climate transition financing opportunities for its clients Actual
      The ESG / climate risk assessment may require additional effort by the clients in order to provide required ESG data and may result in additional conditions to comply with for financial agreements Potential
      Financed Engagement with clients on ESG issues Increase market awareness and provide services that enable customers to make better informed decisions on sustainable financing solutions Actual
      Engagement with clients on ESG issues is limited to large corporates Potential
      Financed Financial inclusion The Bank offers financing to small businesses, including micro-finance Actual  
      Positive impact through physical and digital channels that improve accessibility to the use of financial services by individuals and firms Actual
      Potential negative impacts through the lack of initiatives / channels targeted to accessibility to the use of  financial services by individuals and firms Potential

      Sustainabilty at select international subsidiaries

      The Eurobank international subsidiaries are committed to sustainable development, restructuring their operations, and adopting policies and initiatives that drive their ESG journey.

      Postbank

      During the reporting period, Postbank adopted its ESG Strategic Vision, reiterating its ambition to act as a leader in sustainable finance in Bulgaria. It launched a dedicated ESG website, where all information related to the sustainable business activities of the organisation is posted. Postbank successfully completed the 2-year reporting cycle for the Principles of Responsible Banking (PRB), stemming from it being a signatory to the PRB. Continuing the efforts of previous years, and in close communication with the Eurobank Group, it has launched a number of activities directed at further improving its operational ESG impact, and has been targeting its versatile social programme both towards its employees and towards society in the country.

      Postbank has set up an organisational structure to address the ESG agenda: Environmental and Sustainability Committee (ESC), consisting of EXCO members and chaired by the COO, thematic working groups under the ESC, and an Environmental and Social Affairs Coordinator. Postbank has developed its local Sustainable Finance Framework as a central document for applying the EU Taxonomy on Sustainable Economic Activities in its lending processes, and has drafted its Climate Risk Roadmap for fulfilling the ECB expectations in this area. The Postbank has adopted a digital process for evaluating and monitoring environmental and social risk in lending, made possible through embedding automated solutions in its core banking system.

      Eurobank Cyprus

      Eurobank Cyprus is committed to investing in sustainable development and designing actions to improve its impact on environmental sustainability, social responsibility and corporate governance, in close communication with the Eurobank Group, to ensure alignment with the latest ESG regulatory requirements/guidelines. Its strategic objectives include adapting its business and operation to address climate change challenges, accommodating social needs within its business model, and safeguarding prudent governance, in accordance with supervisory initiatives and following international best practices.

      Eurobank Cyprus developed its Governance Project on ESG issues in September 2022, establishing a new ESG Management Committee, chaired by its CEO who is the ESG Project Sponsor. Moreover, its Board of Directors monitors the ESG developments regularly, including its actions to address climate-related and environmental risks. In line with the UN Sustainable Development Goals and the 2030 Agenda, Eurobank Cyprus develops its approach along two distinct levels of impact: financed and operational.

      In 2022 it initiated a number of activities for its environmental (operational net zero, paperless banking, circular economy), employer (diversity and inclusion, wellbeing, innovative environment) and social/business impact (socio-economic effect, transparency). It aims is to support its operational impact strategy through a set of actions with measurable targets and KPIs, demonstrating its vision for the coming decade in relation to the environment and its social footprint, while focusing on its people and the ESG impact on the market. Eurobank Cyprus is also in the process of implementing an Environmental Management System (ISO 14001, EMAS) and the execution of the Revised Energy Audits. Lastly, the upgrading of its infrastructure and further digitisation of its services through a large-scale IT project concluded in April 2023, is expected to significantly contribute to minimising its environmental footprint.

      Eurobank Cyprus undertook several actions in 2022 in relation to the financed impact, aiming to support customers and society in their transition efforts towards a more ESG-friendly economic environment. A relevant project was launched, focusing on developing its Sustainable Finance Framework and ensuring full compliance with the ECB expectations, as stated in the relevant ECB guide on climate and environmental risks.

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