Tell the Fed: Take Action on Climate-Related Risk!

Federal Reserve Board of Governors: Jerome H. Powell, Chair; Lael Brainard, Vice Chair; Michael S. Barr, Vice Chair for Supervision; Michelle W. Bowman; Lisa D. Cook; Philip N. Jefferson

The Federal Reserve (The Fed) is America’s central bank and most powerful financial regulator. The Fed is responsible for fighting inflation, promoting full employment, and keeping our financial system stable. The Fed also has a legal mandate to respond to emerging threats, like climate change, that could have severe impacts on the stability of our financial system if left unchecked.

Join us and send a message to the Fed, urging them to protect our economy from climate change! Together, we can send a strong message to leaders at the Fed that the public is counting on them to protect our communities and economy from climate chaos.

To: Federal Reserve Board of Governors: Jerome H. Powell, Chair; Lael Brainard, Vice Chair; Michael S. Barr, Vice Chair for Supervision; Michelle W. Bowman; Lisa D. Cook; Philip N. Jefferson
From: Christine Leonhardt

I urge the Federal Reserve Board of Governors (Fed) to follow the lead of the Office of the Comptroller of the Currency (OCC) and the Federal Deposit Insurance Corporation (FDIC) and issue climate-related risk management principles for the large banks under its supervision.

Climate-related financial risks to banks' safety and soundness are well-documented and accelerating. These risks include the physical impacts of climate change on communities, households, and businesses and the transition risks that arise as society reorients toward a clean energy economy. The Fed has a mandate and responsibility to address climate-related financial risks to banks.

The Fed’s climate supervisory principles should advise banks to:
take a whole-of-business approach to mitigating climate risk;
consider appropriate time horizons for assessing and addressing climate risk;
conduct robust climate scenario analysis modeling and review results with bank supervisors;
align internal strategies with their public climate commitments, both of which should be guided by science-based metrics and targets;
respect Indigenous rights and ensure the projects and companies they fund uphold Free, Prior, and Informed Consent and tribal sovereignty; and
recognize where and how risk-management measures could have adverse effects on low-income communities and marginalized households and communities, and take steps to understand and fully mitigate these risks.

The Fed’s principles should also recognize that continued financing of greenhouse gas emissions by supervised banks is exacerbating climate-related financial risk by directly increasing transition risk and contributing to physical risk, both of which in turn threaten their own stability and that of the financial system as a whole.

In addition to joining the OCC and FDIC in publishing supervisory principles, the Fed should work with them to follow up soon with more detailed guidance.

Sincerely,