Taking a stand:
Sustainable lending processes
DZ BANK is conscious of its responsibility toward its workforce, society, and the environment, and of its duty to ensure good governance. We use a uniform group-wide procedure for sustainable lending which is based on an extensive catalog of criteria.
The lending business is one of DZ BANK’s core activities. The subject of responsibility is particularly important in this area: In our lending operations, we systematically assess loan applications (conventional loans, project finance, and customer-specific trading limits) against relevant sustainability criteria as part of the credit check process. Loans to cooperative banks and to entities in the DZ BANK Group, as well as exposures that are being restructured are exempt from the checks. Further exemptions apply to certain product types in the joint credit business with the cooperative banks, to loans under blanket approval agreements, and to exposures that do not exceed the volume threshold for mandatory ratings.
The following exclusion criteria apply to DZ BANK AG - information on the group-wide exclusion criteria can be found on the DZ BANK Group page.
Credit assessment procedure
DZ BANK applies a uniform bank-wide credit assessment procedure for sustainable lending. This procedure is based on a comprehensive sustainability checklist, sector-specific principles, and rejection criteria.
The credit risk strategy specifies that the entities in the Bank sector of the DZ BANK Group must treat their partners fairly and, as part of the sustainability strategy, not enter into any lending arrangement that could prejudice the reputation of the group. Based on these principles, a policy on sustainable lending was drawn up and approved in 2017. The policy applies to the majority of the management units involved in credit approvals and contains rejection criteria that apply to specific controversial assets, sectors, and business practices. These criteria are designed to preclude all transactions that do not meet minimum environmental, social, and governance requirements or involve increased risk of reputational damage for the DZ BANK Group. Individual companies within the DZ BANK Group may apply additional, further-reaching rejection criteria.
DZ BANK’s sustainability checklist, which has been in use since 2009, is based on the ten principles of the United Nations Global Compact and the Equator Principles. We use the list to assess all the factors relevant to a loan that may affect ecological or social risk. The assessments conducted by our experts look at business partners, customers, suppliers, sector, commercial focus, and other aspects.
Sectoral rules for sensitive industries
For the assessment of loan applications from sensitive industries, DZ BANK uses its ‘sectoral rules’ in addition to the sustainability check. These provide a frame of reference for loan approvals. Processing in accordance with the sectoral rules is an integral part of the sustainability check.
Sectoral rules exist for forestry, extractive industries, dam projects, maritime industries, palm oil and agriculture.
Sectoral rules for sensitive industries
||No financing of clients who do not have Marine Stewardship Council (MSC) certifications or who use standards which are recognized as equivalents
|Forestry:||Application of the revised version of the World Bank Standards (WN OP 4.36, 2013) for all areas of forest management (i.e. lumbering, timber production, felling, forest management)|
|Commodities (oil & gas, and metals & mining):
||Compliance with international conventions such as the standards of the International Labour Organisation (ILO)
Adherence to or reference to best production practices such as those that minimize pollution of the environment from the raw material extraction process or eliminate the use of toxic substances
||Provision of statement disclosing the extent to which the recommendations of the World Commission on Dams (WCD) have been taken into account
Membership of the Round Table for Sustainable Palm Oil (RSPO) or an organization with at least equivalent standards
Submission of a "The No-deforestation, No-peat and No-exploitation" (NDPE) policy
By 2030, for the full volume of palm oil and its inputs and crude products (whether from own source or purchased from third parties): Full traceability to the plantations of origin of the palm fruits (Traceability to Plantation), and full RSPO certification or recognized certification with at least equivalent standard
No conversion of peat bogsinto agricultural land and no land acquisition in areas with indigenous populations, only in accordance with the principles of free prior and informed consent (FPIC)
Compliance with the requirements of the national fertilizer legislation (Fertilizer Ordinance), the Plant Protection Act and the Plant Protection Application Regulations, as well as the Animal Welfare and Farm Animal Husbandry Ordinance, i.e., for example, no caging of laying hens, or only the use of antibiotics as needed
Reduction of water consumption as far as possible
Concentrating support on those farms that operate in accordance with the conditionality requirements of the EU’s common agricultural policy and are eligible for support
In this context, we are committed to the preservation of biodiversity and the reduction of greenhouse gases, and we support companies that pursue the principle of a circular economy, e.g. by recycling agricultural waste into bioenergy
Rejection criteria for lending
Since 2005, DZ BANK’s lending guidelines have set out how to deal with sensitive industries. In 2014, we translated these guidelines into criteria for rejecting loan applications, which the customer relationship managers use for guidance and which they take into account when assessing loan applications. The criteria currently apply to weaponry, pornography, gambling, significant environmental risks, and human rights abuses. In the autumn of 2017, the Board of Managing Directors also decided to reject all future project financing applications for coal-fired power plants. In 2020, DZ BANK further developed and sharpened existing exclusion criteria, in particular in the areas of weaponry, significant environmental risks, coal and human rights.
No financing in connection with arms transactions of any kind (financing of supplies, manufacturing and trading companies) to/from countries with significant human rights violations, or outside NATO and/or in areas of tension, unless they are approved subject to the condition of a subsequent approval by the Federal Security Council
No financing of controversial weapons, i.e. weapons that have indiscriminate effects, cause undue suffering, have devastating effects on civilian populations, or are internationally outlawed. Examples of controversial weapons include (non-exhaustive) nuclear, biological, chemical weapons, land mines, anti-personnel mines, cluster bombs, autonomous weapons, or munitions containing uranium
No financing in relation to the manufacture or trade of controversial weapons
No financing of companies involved in the development, manufacture, maintenance, operation, or trade of controversial weapons or their core components, unless it can be ruled out that the funds will be used for controversial weapons
Significant environmental risks
No financing of companies or activities with significant risks for the environment (e.g. uranium mining)
No financing of oil or gas extraction by means of fracking or from oil shale and oil sands
No financing of mining activities using the Mountain Top Removal process
No financing of trade transactions in connection with endangered animal and plant species according to the Convention on International Trade on in Endangered Species (CITES)
No financing of new or existing coal-fired power plants
No financing of activities upstream in the value chain for thermal coal, especially mining, trade and directly related activities No indirect financing of companies with an increased share of coal if no will to transform is evident or if the use of funds for coal can be ruled out
No business in the pornography industry or similar sectors (prostitution)
No business with companies engaged in controversial forms of gambling
Significant human rights abuses
No financing of companies that violate UN Global Compact, UN Guiding Principles on Business and Human Rights, ILO Declaration on Fundamental Principles and Rights at Work or other internationally recognised principles in the area of human and labour rights