Communication on Progress 2019

Participant
Published
  • 05-Aug-2019
Time period
  • August 2018  –  December 2021
Format
  • Stand alone document – Basic COP Template
Differentiation Level
  • This COP qualifies for the Global Compact Active level
Self-assessment
  • Includes a CEO statement of continued support for the UN Global Compact and its ten principles
  • Description of actions or relevant policies related to Human Rights
  • Description of actions or relevant policies related to Labour
  • Description of actions or relevant policies related to Environment
  • Description of actions or relevant policies related to Anti-Corruption
  • Includes a measurement of outcomes
 
  • Statement of continued support by the Chief Executive Officer
  • Statement of the company's chief executive (CEO or equivalent) expressing continued support for the Global Compact and renewing the company's ongoing commitment to the initiative and its principles.

  • 05.08.2019
    To our stakeholders:
    I am pleased to confirm that Sparebanken Vest reaffirms its support of the Ten Principles of the United Nations Global Compact in the areas of Human Rights, Labour, Environment and Anti-Corruption.
    In this annual Communication on Progress, we describe our actions to continually improve the integration of the Global Compact and its principles into our business strategy, culture and daily operations. We also commit to share this information with our stakeholders using our primary channels of communication.

    Sincerely yours,

    Jan Erik Kjerpeseth
    CEO

Human Rights
  • Assessment, policy and goals
  • Description of the relevance of human rights for the company (i.e. human rights risk-assessment). Description of policies, public commitments and company goals on Human Rights.

  • From the principles of Corporate Social Responsibility document that guide as through all this important work:

    Sparebanken Vest works on corporate social responsibility at the strategic level, in day-to-day
    operations and by making good reporting available. Sparebanken Vest has endorsed the UN
    Global Compact, and we make active endeavours to ensure that our operations are compatible
    with global sustainability. Through our endorsement of the initiative, we have committed
    ourselves to basing our strategy and operating processes on principles concerning human
    rights, the working environment, the natural environment and corruption.

    Humane rights is included in the Procurement Policy. The purpose of our procurement policy is to promote responsible supplier chains in order to
    safeguard human rights and labour rights, sustainable development and responsible
    environmental management. All the supplier agreements we sign must include documentation
    concerning the supplier’s corporate social responsibility and HSE work. The documentation
    must confirm that the supplier complies with all local, national and international laws, rules and
    other industry principles. The same requirements apply to the supplier’s subcontractors.

    Humane rights is also included in the Fund Selcetion Process. We require our fund suppliers to have a good and conscious approach to corporate social
    responsibility in their investments. We also require them to have signed or to comply with
    investment principles corresponding to UN PRI, and to have clear guidelines for the exclusion of
    companies. Managers must not invest in companies involved in weapons production, human
    rights or labour rights violations or breaches of environmental criteria and anti-corruption work.
    We will prioritise fund managers who give consideration to issues such as responsible
    management of our common resources, for example water resources, fisheries and aquaculture,
    forests and timber, the extractive industries, responsible oil recovery and refining of petroleum
    products, and other issues that are included in the industry assessments.

  • Implementation
  • Description of concrete actions to implement Human Rights policies, address Human Rights risks and respond to Human Rights violations.

  • Sparebanken Vest requires its suppliers to respect human rights, as described in the UN
    Universal Declaration of Human Rights, both in their own organisations and down through the
    value chain. Suppliers that enter into supplier agreements with us must adhere to principles for
    ethical trade, and the following points are regarded as particularly important:
    Ethical trade shall promote:
    ● safe workplaces
    ● regular employment with employment contracts
    ● regulated working hours
    ● a living wage
    Ethical trade shall prevent:
    ● child labour
    ● sexual abuse of children
    ● forced labour
    ● discrimination of groups of people (women, minorities, political orientation)

    We require our suppliers to comply with all local, national and international rules concerning
    proper working conditions, including pay, working hours, non-discrimination in the employment
    process and in the workplace, freedom of association, the right to engage in collective
    bargaining and health, safety and the environment. We require that our suppliers under no
    circumstances benefit from working conditions in their own organisations, or in their partners or
    subcontractors, that are based on exploitation, unfairness or abuse of any kind. Foreign workers
    must be ensured the same working condition as other Norwegian employees, and, for suppliers
    of cleaning services, we require that the supplier can document that it is authorised and
    registered in the Labour Inspection Authority’s register of cleaning companies.

    Humane rights is also included in the Fund Selcetion Process. We require our fund suppliers to have a good and conscious approach to corporate social
    responsibility in their investments. We also require them to have signed or to comply with
    investment principles corresponding to UN PRI, and to have clear guidelines for the exclusion of
    companies. Managers must not invest in companies involved in weapons production, human
    rights or labour rights violations or breaches of environmental criteria and anti-corruption work.
    We will prioritise fund managers who give consideration to issues such as responsible
    management of our common resources, for example water resources, fisheries and aquaculture,
    forests and timber, the extractive industries, responsible oil recovery and refining of petroleum
    products, and other issues that are included in the industry assessments.

    In addition to satisfactory guidelines for investment, ethical management also comprises
    1. systems, procedures and processes for uncovering and identifying incidents that can
    indicate breaches
    2. procedures and processes for investigating breaches
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    3. procedures for involvement and active ownership in the individual companies involved
    4. defined processes for terminating ownership in cases where matters warranting criticism
    are uncovered and they are not remedied within a reasonable period after dialogue with
    the Company.

    As part of the assessment of relevant risks relating to ethics and sustainability, the bank has
    prepared a guide containing questions on issues such as ethics, the environment, ownership
    structures, labour rights and corruption. These questions are to be used as a guide and
    assessment tool when necessary or expedient. The focus will be on issues that are particularly
    relevant to the customer’s risk.
    Country risk will be included in the assessment if the customer operates or has projects in
    countries other than the high-income countries in the OECD. We use the OECD’s country
    classification as our point of departure. A country risk analysis will be carried out where relevant.
    Such analyses are used to assess risks relating to money laundering, corruption, financing of
    terrorism, the environment, labour and human rights.

    In all customer relationships, Sparebanken Vest applies the criterion that customers must
    comply with the laws and agreements that apply in Norway and the countries where the
    customers are present. This includes zero tolerance for racism and other forms of discrimination
    in the workplace. Sparebanken Vest will not finance customers/businesses that, either directly or
    indirectly via subcontractors, contribute to breaches of human rights, or that operate in breach of
    the principles set out in the Working Environment Act.

    Everyone has a right to equal treatment and dignity, and we expect companies we finance and
    invest in to respect this right. We expect companies to have zero tolerance for discrimination,
    including verbal, physical and sexual harassment, and that they do not discriminate or offer
    unequal opportunities based on age, gender, religion or sexual orientation.
    We expect the companies to have no involvement in discrimination, forced or child labour, or
    any activity that, either directly or indirectly through subcontractors, breaches human rights. This
    also means that we expect them to take into account that women and men face different risk
    with respect to violation of their human rights.

  • Measurement of outcomes
  • Description of how the company monitors and evaluates performance.

  • We will not continue to distribute products where the requirements for processes for following up
    corporate social responsibility issues are not followed up in an acceptable manner. In our
    contact with potential fund managers, we will therefore look for and comment on any
    weaknesses we see in exclusion criteria, procedures and process descriptions.
    We expect managers to follow up breaches of human rights and their own ethical guidelines and
    environmental requirements relating to already communicated guidelines for such follow-up. We
    do this by monitoring the media, statements made by organisations, publicly available exclusion

    Customers:
    We emphasise having expedient processes in place when customer relationships are first
    established, but we are also responsible for following up customers throughout the relationship.
    In order to follow up customers and our ownership interests, the bank will ask for documentation
    if we suspect that circumstances have arisen that are in breach of our principles.
    Individual customer relationships will be reviewed at least once a year. The audit also includes
    reviewing and following up necessary improvement measures relating to processes and
    procedures.

    Sparebanken Vest is obliged to manage societal and environmental risk and to ensure that the
    companies we finance have familiarised themselves with and take steps to reduce the negative
    effects of their activities in a responsible way. The bank has developed a set of general criteria
    for what we believe should be included in the assessment of companies that apply to us for
    financing, that will be part of our investment universe or that are being considered as suppliers
    to the bank’s internal processes.

    They include principles laid down in:
    ● Human Rights (as described in the UN Guiding Principles on Business and
    Human Rights)
    lists and warnings. In the event of concrete indications of breaches of our expectations, we will
    ask for the fund manager’s assessment of the incident and what plans they have to become
    involved. Involvement processes and active ownership can go on for a prolonged period, and
    Sparebanken Vest routinely follows up the individual fund managers’ documentation of follow-up
    over time. Where a manager is unable to present documentation, or the follow-up is not
    satisfactory in our view, we will stop new sales of the product through our distribution channels
    and inform customers with units in the fund purchased via our channels about our findings and
    follow-up process.
    We revise our assessments of the individual fund suppliers’ systems at least once a year, and we expect to see real improvement in fund managers’ follow-up systems where there are shortcomings.
    Documentation of compliance with requirements concerning corporate social responsibility,
    ethics, money laundering rules, transparency, sustainability, corporate governance in all
    companies in which we have ownership interests, and fund managers’ corporate governance,
    shall be reviewed and audited at least once a year. The next review and audit will take place in
    autumn 2018. The audit also includes reviewing and following up necessary improvement
    measures relating to processes and procedures.

Labour
  • Assessment, policy and goals
  • Description of the relevance of labour rights for the company (i.e. labour rights-related risks and opportunities). Description of written policies, public commitments and company goals on labour rights.

  • From the principles of Corporate Social Responsibility document that guide as through all this important work:

    Sparebanken Vest works on corporate social responsibility at the strategic level, in day-to-day
    operations and by making good reporting available. Sparebanken Vest has endorsed the UN
    Global Compact, and we make active endeavours to ensure that our operations are compatible
    with global sustainability. Through our endorsement of the initiative, we have committed
    ourselves to basing our strategy and operating processes on principles concerning human
    rights, the working environment, the natural environment and corruption.

    Labour Rights are included in the Procurement Policy. The purpose of our procurement policy is to promote responsible supplier chains in order to
    safeguard human rights and labour rights, sustainable development and responsible
    environmental management. All the supplier agreements we sign must include documentation
    concerning the supplier’s corporate social responsibility and HSE work. The documentation
    must confirm that the supplier complies with all local, national and international laws, rules and
    other industry principles. The same requirements apply to the supplier’s subcontractors.

    Labour rights is also included in the Fund Selcetion Process. We require our fund suppliers to have a good and conscious approach to corporate social
    responsibility in their investments. We also require them to have signed or to comply with
    investment principles corresponding to UN PRI, and to have clear guidelines for the exclusion of
    companies. Managers must not invest in companies involved in weapons production, human
    rights or labour rights violations or breaches of environmental criteria and anti-corruption work.
    We will prioritise fund managers who give consideration to issues such as responsible
    management of our common resources, for example water resources, fisheries and aquaculture,
    forests and timber, the extractive industries, responsible oil recovery and refining of petroleum
    products, and other issues that are included in the industry assessments.

    The World Business Council for Sustainable Development describes corporate social
    responsibility as follows: ‘Corporate Social Responsibility is the continuing commitment by
    business to behave ethically and contribute to economic development while improving the
    quality of life of the workforce and their families as well as of the local community and society at
    large.’
    As a company, we need to see the connection between our business activities, society and the
    environment. Our most important contribution is to develop a responsible, profitable business
    through banking operations and to help businesses and individuals to gain access to resources,
    make use of technology and create jobs, revenues and prosperity. To ensure that this is
    economically sustainable, however, we also need to take social and environmental
    considerations into account. In this document, these considerations are defined as ethical and
    sustainability considerations and criteria, particularly within the topics of ethics, the environment,
    ownership structures, labour rights and financial crime.
    Our commitments are based on recognised international guidelines such as:
    ● The UN Universal Declaration of Human Rights
    ● The UN Global Compact
    ● The OECD Guidelines for Multinational Enterprises
    ● The UNEP FI Statement
    ● The UN Principles for Responsible Investment (PRI)
    ● The UN Guiding Principles on Business and Human Rights

  • Implementation
  • Description of concrete actions taken by the company to implement labour policies, address labour risks and respond to labour violations.

  • A source of financing for projects and businesses in Western Norway
    Our customers must be able to trust us to give advice and financing that contribute to
    long-term and sustainable growth for both individual businesses and projects and also
    for Western Norway as a region. We contribute to this by advising customers to make
    sound financial choices, and by ensuring that we finance businesses that operate within
    the bounds of the law. We are in the process of establishing guidelines for assessing
    operational risk factors, such as human and labour rights violations, corruption, serious
    environmental harm or other actions that can be perceived as unethical.

    We are an Inclusive Workplace (IW) enterprise and work to achieve an inclusive working
    environment and to reduce sickness absence. In addition to the work on inclusion, we carry out
    extensive work on health, safety and the environment (HSE), which the bank discusses with
    safety delegates, the occupational health service, employee representatives and the Norwegian
    Labour and Welfare Administration (NAV).

    Our Procurement Policy:
    As a minimum, we require all our suppliers to comply with Norwegian laws and binding
    international agreements. The requirements, which are enshrined in our procurement policy, can
    be summarised in the following main categories:
    ● Human rights
    ● Working conditions
    ● Environmental management
    ● Ethical practices
    ● Reporting
    The purpose of our procurement policy is to promote responsible supplier chains in order to
    safeguard human rights and labour rights, sustainable development and responsible
    environmental management. All the supplier agreements we sign must include documentation
    concerning the supplier’s corporate social responsibility and HSE work. The documentation
    must confirm that the supplier complies with all local, national and international laws, rules and
    other industry principles. The same requirements apply to the supplier’s subcontractors.

    Sparebanken Vest requires its suppliers to respect human rights, as described in the UN
    Universal Declaration of Human Rights, both in their own organisations and down through the
    value chain. Suppliers that enter into supplier agreements with us must adhere to principles for
    ethical trade, and the following points are regarded as particularly important:
    Ethical trade shall promote:
    ● safe workplaces
    ● regular employment with employment contracts
    ● regulated working hours
    ● a living wage
    Ethical trade shall prevent:
    ● child labour
    ● sexual abuse of children
    ● forced labour
    ● discrimination of groups of people (women, minorities, political orientation)

    We require our suppliers to comply with all local, national and international rules concerning
    proper working conditions, including pay, working hours, non-discrimination in the employment
    process and in the workplace, freedom of association, the right to engage in collective
    bargaining and health, safety and the environment. We require that our suppliers under no
    circumstances benefit from working conditions in their own organisations, or in their partners or
    subcontractors, that are based on exploitation, unfairness or abuse of any kind. Foreign workers
    must be ensured the same working condition as other Norwegian employees, and, for suppliers
    of cleaning services, we require that the supplier can document that it is authorised and
    registered in the Labour Inspection Authority’s register of cleaning companies.

    When selecting fund suppliers and funds that will be offered through our channels, we asses a
    number of criteria, including the investment philosophy, universe and mandate, the return over
    time, fund managers and their historical record, the size of the management organisation and
    criteria for corporate social responsibility and corporate governance. Each individual fund must
    also be seen in conjunction with the total offering of funds.
    We require our fund suppliers to have a good and conscious approach to corporate social
    responsibility in their investments. We also require them to have signed or to comply with
    investment principles corresponding to UN PRI, and to have clear guidelines for the exclusion of
    companies. Managers must not invest in companies involved in weapons production, human
    rights or labour rights violations or breaches of environmental criteria and anti-corruption work.
    We will prioritise fund managers who give consideration to issues such as responsible
    management of our common resources, for example water resources, fisheries and aquaculture,
    forests and timber, the extractive industries, responsible oil recovery and refining of petroleum
    products, and other issues that are included in the industry assessments in this document.
    The management team, the size of the organisation and its reputation are also part of the
    assessment. Reliable and robust fund managers are a precondition for creating trust in
    distribution through our channels, and are necessary if we are to trust the managers to follow up
    our requirements for ethics and sustainability in their fund management.
    We only distribute funds where the manager manages the funds themselves. We also carry out
    further investigations if a potential fund has underlying products and deliveries from other
    parties, to ensure that it has been clarified what the actual risk is and who the real counterparty
    is.

    9.1.2 Labour rights
    In all customer relationships, Sparebanken Vest applies the criterion that customers must
    comply with the laws and agreements that apply in Norway and the countries where the
    customers are present. This includes zero tolerance for racism and other forms of discrimination
    in the workplace. Sparebanken Vest will not finance customers/businesses that, either directly or
    indirectly via subcontractors, contribute to breaches of human rights, or that operate in breach of
    the principles set out in the Working Environment Act
    Companies must ensure safe working conditions and respect employees’ freedom of
    association and right to take part in collective bargaining, and they must have maximum limits
    for working hours and the employees must be paid a living wage. We recommend that
    companies work to promote gender equality, equal career and professional development
    opportunities and equal pay for men and women in the workplace. Child or forced labour must
    35
    not be used, and vulnerable workers such as refugees and labour migrants must not be
    exploited. It is also a requirement that subcontractors respect labour rights. Sparebanken Vest
    does not want to finance or invest in companies that do not respect employees’ right to
    organise, that obstruct trade unions or take reprisals against employee representatives.
    9.1.3 Equality and child labour
    Everyone has a right to equal treatment and dignity, and we expect companies we finance and
    invest in to respect this right. We expect companies to have zero tolerance for discrimination,
    including verbal, physical and sexual harassment, and that they do not discriminate or offer
    unequal opportunities based on age, gender, religion or sexual orientation.
    We expect the companies to have no involvement in discrimination, forced or child labour, or
    any activity that, either directly or indirectly through subcontractors, breaches human rights. This
    also means that we expect them to take into account that women and men face different risk
    with respect to violation of their human rights. When minors are employed, we expect
    companies to take responsibility beyond the minimum requirement prohibiting child labour and
    to comply with the Convention on the Rights of the Child. All children have a right to education
    and schooling, and education is an important means of evening out differences and creating
    sustainable societies. We expect employers to facilitate education when they employ minors.

  • Measurement of outcomes
  • Description of how the company monitors and evaluates performance.

  • Fund monitoring:
    Assessment tools
    As part of the assessment of relevant risks relating to ethics and sustainability, the bank has
    prepared a guide containing questions on issues such as ethics, the environment, ownership
    structures, labour rights and corruption. These questions are to be used as a guide and
    assessment tool when necessary or expedient. The focus will be on issues that are particularly
    relevant to the customer’s risk.
    Country risk will be included in the assessment if the customer operates or has projects in
    countries other than the high-income countries in the OECD. We use the OECD’s country
    classification as our point of departure. A country risk analysis will be carried out where relevant.
    Such analyses are used to assess risks relating to money laundering, corruption, financing of
    terrorism, the environment, labour and human rights.
    8.5 Follow-up of customers
    We emphasise having expedient processes in place when customer relationships are first
    established, but we are also responsible for following up customers throughout the relationship.
    In order to follow up customers and our ownership interests, the bank will ask for documentation
    if we suspect that circumstances have arisen that are in breach of our principles.
    Individual customer relationships will be reviewed at least once a year. The audit also includes
    reviewing and following up necessary improvement measures relating to processes and
    procedures.

    Follow-up of customers
    We emphasise having expedient processes in place when customer relationships are first
    established, but we are also responsible for following up customers throughout the relationship.
    In order to follow up customers and our ownership interests, the bank will ask for documentation
    if we suspect that circumstances have arisen that are in breach of our principles.
    Individual customer relationships will be reviewed at least once a year. The audit also includes
    reviewing and following up necessary improvement measures relating to processes and
    procedures.

Environment
  • Assessment, policy and goals
  • Description of the relevance of environmental protection for the company (i.e. environmental risks and opportunities). Description of policies, public commitments and company goals on environmental protection.

  • Sparebanken Vest’s vision is to help to make life in Western Norway even better. We want to set
    an example for how businesses can contribute to social development in Western Norway, and
    we recognise that our task as part of society goes further than the statutory requirements we are
    subject to. Sparebanken Vest will contribute through our own processes, the projects and
    customers we choose to finance and how we conduct ourselves in relation to customers, society
    and the environment.
    The document Principles of CSR describes our principles for ethical conduct and for exercising corporate social
    responsibility in our business operations and in our dealings with our customers, through the
    businesses we invest in, the requirements we make of our suppliers, and what we emphasise to
    ensure that our operations, corporate governance and ownership are sustainable. These
    guidelines are intended to ensure that Sparebanken Vest does not contribute to serious
    environmental harm or to other actions that can be perceived as unethical.
    The principles also apply to all products and services the bank offers to private individuals,
    businesses and households. The guidelines are intended to ensure that failure to comply with
    the principles will have clear consequences, and that breaches will have consequences for
    distribution and financing.

    We became a Climate Neutral Bank in 2019, and we have commited to work towards a platform where all Our Suppliers are Climate Neutral within ultimo 2020.

    We have introduced a new Sustainiablity strategy this summer, commiting to work With a 365 degree perspective to sustainability issues: ourselves, Our Clients, Suppliers, Funds and other offered Products as well as Our donations. We have set several ambitious goals to ourselves, among them to only have fossile free cars by the end of 2020 and to cut Down on flight transport dramatically.

  • Implementation
  • Description of concrete actions to implement environmental policies, address environmental risks and respond to environmental incidents.

  • We became a Climate Neutral Bank in 2019, and we have commited to work towards a platform where all Our Suppliers are Climate Neutral within ultimo 2020.

    We have introduced a new Sustainiablity strategy this summer, commiting to work With a 365 degree perspective to sustainability issues: ourselves, Our Clients, Suppliers, Funds and other offered Products as well as Our donations. We have set several ambitious goals to ourselves, among them to only have fossile free cars by the end of 2020 and to cut Down on flight transport dramatically, cut down on waste and energy and make Sparebanken Vest a more bicycle friendly working place.
    We have cut Our CO2 emissions dramatically the last 2 Years, and we aim to cut half the CO2 emissions by 2025.
    All this is included in a communication strategy to be rolled Our in the fall of 2019.

    Our two main external Projects for 2019 will be the following:
    1. To roll out "Klimanjaro" - claiming climate neutrality from all Our Suppliers.
    2. To get a complete overview of all the main industry that we Finance in terms of CO2 emissions.

  • Measurement of outcomes
  • Description of how the company monitors and evaluates environmental performance.

  • Internally:
    We produce yearly a Climate Accounting report of Our own emissions, produced by Cemasys, published interally and externally by Klimapartner.
    We are certified by "Miljøfyrtårn", With a yearly exteranl audit.

    Externally: We are starting now to claim Climate neutrality and therefore also a climate accounting by all Our Suppliers.

    We are measuring the CO2 emissions of the main industries that we Finance, and we will start to include this Insight in Product Development and further work together With Our customers.

Anti-Corruption
  • Assessment, policy and goals
  • Description of the relevance of anti-corruption for the company (i.e. anti-corruption risk-assessment). Description of policies, public commitments and company goals on anti-corruption.

  • The anti corruption work is of the upper most importance in the bank. It is integrated in risk management, AML and anti corruption policies and strategies, and described in our principles of CSR document - for ethical conduct and for exercising corporate social
    responsibility in our business operations and in our dealings with our customers, through the
    businesses we invest in, the requirements we make of our suppliers, and what we emphasise to
    ensure that our operations, corporate governance and ownership are sustainable. These
    guidelines are intended to ensure that Sparebanken Vest does not contribute to violations of
    human rights or labour rights, money laundering and terrorism financing, corruption, serious
    environmental harm or to other actions that can be perceived as unethical.
    The principles also apply to all products and services the bank offers to private individuals,
    businesses and households. The guidelines are intended to ensure that failure to comply with
    the principles will have clear consequences, and that breaches will have consequences for
    distribution and financing.

    Sparebanken Vest works on corporate social responsibility at the strategic level, in day-to-day
    operations and by making good reporting available. Sparebanken Vest has endorsed the UN
    Global Compact, and we make active endeavours to ensure that our operations are compatible
    with global sustainability. Through our endorsement of the initiative, we have committed
    ourselves to basing our strategy and operating processes on principles concerning human
    rights, the working environment, the natural environment and corruption.

  • Implementation
  • Description of concrete actions to implement anti-corruption policies, address anti-corruption risks and respond to incidents.

  • Our customers must be able to trust us to give advice and financing that contribute to
    long-term and sustainable growth for both individual businesses and projects and also
    for Western Norway as a region. We contribute to this by advising customers to make
    sound financial choices, and by ensuring that we finance businesses that operate within
    the bounds of the law. We are establishing guidelines for assessing
    operational risk factors, such as human and labour rights violations, corruption, serious
    environmental harm or other actions that can be perceived as unethical.

    Ownership structure, taxation and attitude to
    corruption
    An important part of the bank's corporate social responsibility policy is to limit the possibility of
    financial crime. Having a robust system and good guidelines in place to prevent and expose
    money laundering and terrorism financing are among the methods used to counteract this.
    Sparebanken Vest has zero tolerance for corruption and all other forms of financial malpractice,
    including accepting and offering bribes or other advantages. The bank’s business model and
    role in society are based on trust. It must therefore always assess the risk of corruption and
    13
    distance itself from all activities that entail a risk of corruption and other malpractices. The
    relationships of dependency that arise in connection with corruption can have harmful effects
    that far exceed the direct consequences of the financial advantages. Among other things,
    corruption has harmful economic effect, distorts competition and undermines the social fabric.
    Sparebanken Vest is in the process of establishing clear guidelines for cooperation with third
    parties. The objective is to ensure that Sparebanken Vest and its employees do not become
    involved in situations that put both the bank and the employees at risk of being held criminally
    liable or that damage the bank’s reputation.
    We require our fund managers to have procedures in place to ensure that they invest in
    companies that are open about their ownership structure, in addition to disclosing how much
    they pay in tax in all countries in which they operate. If separate law and regulatory
    requirements for international taxation and trade have not been established, we require
    compliance with the Wolfsberg Principles. All fund managers must also comply with the
    Wolfsberg Principles in connection with efforts to prevent money laundering, concealed
    ownership and transactions capable of being used for money-laundering purposes. We refrain
    from involvement in giving investment advice where the object is to evade tax. This also applies
    to the distribution of services from other advisers or products on behalf of fund managers who
    encourage tax evasion or money laundering.

    Sustainable investments:
    Sparebanken Vest shall ensure that all our investments serve to promote long-term value
    creation and contribute to a sustainable global financial system. We are working on including an
    assessment of the risk of corruption relating to potential investment objects in our procedures.
    This is in order to ensure that we only invest in companies with expedient procedures for
    handling corruption. In our own investments and in our expectations of our suppliers, we support
    the UN Principles for Responsible Investment (PRI). We also follow the principle that, in the
    absence of more stringent local legislation, companies must as a minimum comply with
    international standards for industries and enterprises. We endeavour to ensure that our
    investments and procedures for assessing and following up our investments are in accordance
    with the initiative’s six principles for responsible investments.

  • Measurement of outcomes
  • Description of how the company monitors and evaluates anti-corruption performance.

  • We require our fund suppliers to have a good and conscious approach to corporate social
    responsibility in their investments. We also require them to have signed or to comply with
    investment principles corresponding to UN PRI, and to have clear guidelines for the exclusion of
    companies. Managers must not invest in companies involved in weapons production, human
    rights or labour rights violations or breaches of environmental criteria and anti-corruption work.
    We will prioritise fund managers who give consideration to issues such as responsible
    management of our common resources, for example water resources, fisheries and aquaculture,
    forests and timber, the extractive industries, responsible oil recovery and refining of petroleum
    products, and other issues that are included in the industry assessments in this document.

    Assessments of ethics, the environment, corporate
    social responsibility and sustainability in connection
    with granting credit
    Sparebanken Vest has implemented systems and complies with the procedures set out in
    applicable anti-money laundering legislation. It is a requirement that the companies we finance
    or invest in are not involved in financial crime, including corruption or attempts to prevent the
    exposure of corruption. We are in the process of requiring companies to confirm through a selfdeclaration
    that they comply with this requirement, and confirm that they are not aware of
    corruption or trading in influence taking place or having taken place in their own organisation,
    among the intermediaries they use, or their suppliers or subcontractors.
    As a minimum, the companies must have given due consideration to corruption and the risk
    factors associated with it. In the case of large companies that we finance, we have a minimum
    requirement that they have satisfactory management and control systems in place that include
    measures for dealing with suspected corruption, whistleblowing procedures for internal
    suspicions of corruption, and that they require their suppliers and subcontractors to comply with
    the same criteria.

    Assessment tools
    As part of the assessment of relevant risks relating to ethics and sustainability, the bank has
    prepared a guide containing questions on issues such as ethics, the environment, ownership
    structures, labour rights and corruption. These questions are to be used as a guide and
    assessment tool when necessary or expedient. The focus will be on issues that are particularly
    relevant to the customer’s risk.
    Country risk will be included in the assessment if the customer operates or has projects in
    countries other than the high-income countries in the OECD. We use the OECD’s country
    classification as our point of departure. A country risk analysis will be carried out where relevant.
    Such analyses are used to assess risks relating to money laundering, corruption, financing of
    terrorism, the environment, labour and human rights.

    Sparebanken Vest is obliged to manage societal and environmental risk and to ensure that the
    companies we finance have familiarised themselves with and take steps to reduce the negative
    effects of their activities in a responsible way. The bank has developed a set of general criteria
    for what we believe should be included in the assessment of companies that apply to us for
    financing, that will be part of our investment universe or that are being considered as suppliers
    to the bank’s internal processes.
    They include principles laid down in:
    ● Human Rights (as described in the UN Guiding Principles on Business and
    Human Rights)
    ● The Working Environment Act
    ILO Declaration on Fundamental Principles and Rights at Work
    ● The Personal Data Act
    ● The UN Convention against Corruption
    ● The Money Laundering Act
    ● The Taxation Act
    ● The Equality and Anti-Discrimination Act
    ● The Natural Diversity Act and the Svalbard Environmental Protection Act
    ● The Wetlands Convention
    (the Ramsar Convention)
    ● The Pollution Control Act
    ● The Accounting Act
    ● The Animal Welfare Act
    Some requirements are absolute, while others must be assessed in relation to the size and
    location of the enterprise. For example, we expect all our customers and the enterprises we
    invest in to comply with Norwegian laws and international conventions, but we believe that it is
    necessary to take the companies’ size into consideration when making requirements for
    documentation of procedures and reporting. In the fund management context, the investment
    universe will often be dominated by larger companies than is the case for many of our loan
    customers, who are primarily based in Western Norway. At the same time, the bank is closer to
    the individual investments for which loans are furnished and is therefore in a position to assess
    the companies and projects in more detail from case to case. We do not want to finance or
    invest in companies that violate the principles described below. Any deviations from or
    differences between the requirements are described separately.

    Corporate governance, money laundering and corruption
    Sparebanken Vest has zero tolerance for corruption, money laundering and terrorism financing,
    and we expect our customers and fund managers to have systems and procedures in place to
    prevent such offences. If corruption is suspected, we require full transparency from the company
    and participation in our investigation of the matter.
    The new Money Laundering Act entered into force on 15 October 2018. The purpose of the act
    is to prevent and expose money laundering and terrorism financing. Sparebanken Vest has
    established strict procedures and a framework for complying with our statutory duties and
    preventing the bank from being used for money laundering of the proceeds of crime or from
    contributing to terrorism financing. Any transaction or situation that raises suspicion of money
    laundering or terrorism financing will be reported and forwarded to the National Authority for
    Investigation and Prosecution of Economic and Environmental Crime (Økokrim).
    There must be transparency about the company’s ownership, including for part-owned
    subsidiaries and joint ventures, and about transactions between the company and the
    company’s management. It must be determined whether there are beneficial owners in addition
    to the customer. If there are beneficial owners, information must be obtained to sufficiently
    determine their identity. Information about the identity of beneficial owners must be confirmed by
    means of suitable measures and registered in the bank’s systems.
    We also expect fund managers to use their voting rights in matters concerning ownership,
    particularly with a view to strengthening the principles of transparency, good corporate
    governance and fair pay. The focus must always be on what is best for the company.
    We expect owners and fund managers to make sure that companies they have invested in are
    not involved in transactions that can be used for money laundering and terrorism financing
    purposes. Steps should be taken to ensure that counterparties in transactions and customer
    relationships are identified.