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Implementing decarbonisation guidelines: lessons learned in collaboration with clients

Julie Delongchamp, CFA, Climate Transition Risk Analyst
February 2025
10 min read
2026-02-28
Archived info
Archived pieces remain available on the site. Please consider the publish date while reading these older pieces.
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The views expressed are those of the author at the time of writing. Other teams may hold different views and make different investment decisions. The value of your investment may become worth more or less than at the time of original investment. While any third-party data used is considered reliable, its accuracy is not guaranteed. For professional, institutional, or accredited investors only.

At Wellington for the past several years, we have worked in partnership with asset-owner clients to help them implement their net-zero goals in actively managed equity and corporate credit strategies. For most clients, the primary challenge when implementing these goals is balancing their decarbonisation ambitions with their financial return objectives. To meet this challenge, defining robust guidelines is, in our view, a key step in setting mandates up for success across clients’ climate transition as well as financial objectives.

For those clients who have requested implementation of a decarbonisation glidepath in the portfolios we manage on their behalf, we work with them to strike the right balance for their organisation and to formulate tailored guidelines using sensible metrics and high-integrity implementation. Here, we share some of the notable lessons learned.

Key points

For asset owners seeking to implement net-zero goals successfully within their investment strategies, we recommend a tailored, five-step approach:

  1. Tailor the decarbonisation target to the investment mandate
  2. Lean into what active managers do best: fundamental research and engagement
  3. Utilise forward-looking and nuanced metrics
  4. Assess the scope(s) of the ask
  5. Draft clear guidelines with minimal room for (mis)interpretation

To help asset owners implement these key lessons learned, we provide a sample template at the end of the paper, which sets out the criteria we find most useful for defining a decarbonisation glidepath.

1. Tailor the decarbonisation target to the investment mandate

While it may seem obvious, different investment universes and styles have different starting points in terms of transition metrics. With this in mind, we typically start by assessing the data coverage of the opportunity set, which is highest across equities and corporate credit. We then look at benchmark-relative or absolute contribution to understand the carbon intensity of the mandate. We have selected weighted average carbon intensity (WACI) as the preferred portfolio metric our investment teams will monitor and target for the interim 2030 decarbonisation target, as we find it less sensitive than other portfolio metrics, such as financed emissions, to changes in the market and capital structures. For benchmark-relative mandates, we can use two-factor attribution to assess how much of a portfolio’s carbon footprint comes from sector allocation and how much comes from security selection. The example in Figure 1 compares a global, value-orientated equity portfolio with its global, core benchmark.

Figure 1
implementing-decarbonisation-guideline

Figure 1 shows that the portfolio is overweight the most carbon-intensive sector, utilities. However, the utilities stocks held in the portfolio are less carbon-intensive than the average within the sector.

Attribution is most often used for point-in-time analysis. Some mandates, particularly those that are opportunistic or less benchmark sensitive, may experience significant fluctuations in carbon performance over time. When considering the appropriate pace for a WACI glidepath, we often use sensitivity analysis to assess the impact of prospective high-conviction investment decisions on WACI.

Assessing the carbon intensity of specific mandates provides deeper insight and line-of-sight for asset owners about how portfolios will perform over time and interact with proposed target thresholds. For example, if the same portfolio from Figure 1 leaned into utilities holdings with higher carbon intensity today and engaged with those companies to enhance their transition plans, the current portfolio WACI could increase substantially, at least in the short term. This may be consistent with the philosophy and process of the investment team and may be a desired outcome for the asset owner. Crucially, we seek to avoid any investment-style “creep” because of a climate objective and, instead, maintain a consistent fundamental role in our clients’ portfolios.

2. Lean into what active managers do best: fundamental research and engagement

As an active manager, we believe constructive dialogue with companies can be a powerful tool to achieve better investment outcomes for our clients. These discussions can help portfolio companies appreciate the potentially wide-ranging effects of the low-carbon transition on security valuations. Company meetings can also help certain investment teams better understand a business’s emissions footprint and transition risk-management approach. Where transition risk is material to the company, we aim to highlight this risk and encourage risk mitigation.

As more company management teams appreciate the contribution of a robust transition risk-management strategy to long-term financial success, the investable universe of climate-ready companies is likely to expand. This trend is supportive for active managers, who can then consider transition alignment on an equal footing with other factors in their investment process.

To read case studies about our engagement on climate-change risks and opportunities, see Section 3 of Wellington’s TCFD-aligned Climate Reports.

3. Utilise forward-looking and nuanced metrics

Fundamental analysis is predicated on assessing companies’ forward planning, so it follows that transition assessment metrics should enhance this analysis. Exposure to companies with science-based emissions-reduction targets is a forward-looking portfolio metric based on portfolio companies’ published medium-term targets. At the same time, because validation by the Science Based Targets initiative reflects a high bar and it can take several years for a company to take all the necessary steps to receive this validation, the presence or absence of a science-based target is binary – tagging companies as “investable” or “not investable”. As such, this metric can understate incremental progress towards best practice.

To better differentiate between companies, we have developed a proprietary Transition Alignment Rating (TAR), illustrated in Figure 2. The TAR is a quantitatively derived, forward-looking rating that combines multiple metrics and utilises industry- and region-relative comparisons. The industry-relative comparison ensures that transition alignment is assessed relative to the business model.

Figure 2
implementing-decarbonisation-guidelines

The TAR methodology organically increases differentiation of transition risk-management practices among companies within the same industry by rating companies across a spectrum of 1 to 5, where 1 signifies the most robust transition alignment. Figure 3 shows an example of this distribution for a global equity strategy versus a core global benchmark. It illustrates that 50% of the portfolio’s market value is “Aligned” or “Aligning”. The underlying rating components of the TAR (e.g. emissions transparency, relative performance versus their industry) then support further transition risk analysis on the holdings in the remaining 50% of the market value of the portfolio, which are either “Committed to Aligning” or “Not Aligned”.

Figure 3
implementing-decarbonisation-guidelines-fig3

The TAR can also support engagement preparation and outcome tracking, focusing dialogue and tracking incremental progress in underlying data points. For example, when a consumer staples company published its updated annual sustainability report with clearer and more ambitious emissions-reduction targets, our ESG analyst cited recent improvement in the TAR “Ambition” component to verify his fundamental view about the positive trend.

As exemplified by our development and use of the TAR, we generally encourage the use of multiple reporting metrics to provide the most holistic picture, as opposed to sticking with a single metric.

4. Assess the scope(s) of the ask

The quality of specific climate metrics dictates the extent to which managers consider it for potential investment integration. To this end, one of the most common questions we receive from asset owners is: Should we include Scope 3 in our interim target?

Scope 3 emissions are indirectly generated throughout the value chain, from upstream activities such as purchased goods and business travel and downstream activities such as the use of sold products. In our view, including Scope 3 emissions data is useful for research purposes, as it can help investment teams to develop a full picture of transition risk exposure for a company and its supply chain. Here, there is reason for optimism; the first mandatory Scope 3 disclosure in Europe begins in 2025 for large companies, and other jurisdictions are adopting similar requirements with longer phase-in periods.

For now, though, Scope 3 reporting quality remains relatively poor. We continue to closely monitor progress on reporting, as shown in Figure 4. Almost 90% of the global large-cap universe, as measured by the MSCI All Country World Index (ACWI), are reporting some Scope 3 data. However, only about 25% have robust Scope 3 disclosure, meaning they capture material Scope 3 categories and aggregate emissions volume is commensurate with their business. By contrast, more than 85% of the ACWI have disclosed Scope 1 and 2 emissions in a robust and comparable manner.

Figure 4
implementing-decarbonisation-guidelines-fig4.svg

Using Scope 3 estimates by third parties can be directionally informative in comparing one industry to another and surmising likely material Scope 3 categories to consider in bottom-up research and engagement with companies in those industries. However, in our view, it is not useful for comparing two issuers within the same industry. As such, we currently do not recommend including Scope 3 in portfolio construction for interim targets (e.g., before 2030). Before we begin including Scope 3 in portfolio construction and target setting, we need to see a higher share of high-quality data to facilitate peer-relative comparison, not just industry-level conclusions.

In certain cases, to reflect the importance of incorporating Scope 3 emissions in portfolio targets for our clients, we include a date and/or the rationale for resetting targets inclusive of Scope 3. We can also provide clients with portfolio reporting inclusive of Scope 3 for equity and corporate credit strategies, using estimated data for comparability, to avoid surprises when the portfolio target is restated in the future.

5. Draft clear guidelines with minimal room for (mis)interpretation

Ultimately, we focus on developing a shared understanding of intent in terms of the climate-related goals clients are seeking to achieve within their investments, taking into account all the nuances of transition-related methodologies. Clarifying definitions, dates, and other technical details in writing is an integral step in the process.

Discussing the principle of the climate target is also useful to ensure that the investment manager understands the spirit as well as the letter. For example, clients have different expectations about how they anticipate their portfolio will behave prior to the interim target date, or how they may prioritise climate and investment objectives, should they ever come into conflict.

Consider, for instance, these two sample climate-related guidelines, which differ in some key details:

  • Sample guideline 1: The mandate WACI (Scopes 1+2) will be at least 30% lower than the baseline at launch, with an interim target of 60% lower than the baseline by 31 December 2029, becoming net zero by 31 December 2049. The baseline is defined as the benchmark WACI as of 31 December 2019. Scope 3 emissions will be incorporated into investment decision-making by 31 December 2027.
  • Sample guideline 2: The manager will seek to reduce the mandate WACI (Scopes 1+2) by 50% by 31 December 2029 relative to the baseline. The baseline is defined as the benchmark WACI as of 31 December 2019. Progress towards this goal is not expected to be linear and portfolio WACI may fluctuate over time. If the manager believes adherence to the WACI constraint would adversely impact the portfolio’s active returns, the manager will prioritise active returns and provide an explanation of the nature of the trade-off and its impact on portfolio WACI.

The language in the first guideline connotes a strict guideline, which has pre-trade implications starting immediately at the effective date, an interim target that sets a progressively challenging high watermark and an inclusion date for Scope 3 emissions. In contrast, the language in the second guideline demonstrates a softer guideline, which clarifies how the manager will use regular reviews to assess the impact of the guideline and adjust as needed. The second guideline may be more appropriate for opportunistic investment strategies or investment universes with less transition planning from constituent companies, such as emerging markets or high-yield credit.

Given the long-term nature of clients’ net-zero ambitions, guidelines should not be seen as a “set it and forget it” exercise. We use soft guidelines, tools and reporting to track progress, and we commit to iterate with our clients as facts and circumstances evolve.

Putting the lessons learned into practice

To help asset owners implement the key lessons learned as described above, the template in Figure below outlines the criteria we find most useful when defining a decarbonisation glidepath.

For more information on our approach to helping clients implement their decarbonisation goals or to discuss your specific needs, please contact your Wellington relationship management team.

Figure 5
implementing-decarbonisation-guidelines-fig5

1Neither MSCI nor any other party involved in or related to compiling, computing or creating the MSCI data makes any express or implied warranties or representations with respect to such data (or the results to be obtained by the use thereof), and all such parties herby expressly disclaim all warranties of originality, accuracy, completeness, merchantability or fitness for a particular purpose with respect to any of such data. Without limiting any of the foregoing, in no event shall MSCI, any of its affiliates or any third party involved in or related to compiling, computing or creating the data have any liability for any direct, indirect, special, punitive, consequential or any other damages (including loss of profits) even if notified of the possibility of such damages. No further distribution or dissemination of the MSCI data is permitted without MSCI’S express written consent.

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