Nature-related risk in the public–private continuum

Author(s) Martha McPherson Manleen Dugal Ria Sen
Insect hotel
Jean and Fred Hort/flickr (CC BY 2.0)

“Nature-related risk” is a phrase of our times, reflecting the pervasive economic and financial impacts of biodiversity loss and ecosystem degradation.

From the 2021 Dasgupta Review on the Economics of Biodiversity, to the Kunming-hosted 2021-22 COP15 on biodiversity, and the newly convened Task Force on Nature-related Financial Disclosures (the TNFD – a follow-up to the Task Force on Climate-related Financial Disclosures), nature is in sharp focus.

The next imperatives for risk management – for deriving mitigation and adaptation strategies, and for risk quantification and incorporation in financial/business decision-making – will be nature-linked.

Sibling rivalry: nature- and climate-related risk

We often approach the emerging concept of nature-related risk from the perspective of its older sister: climate-related risk. This means looking at nature-related impacts like soil erosion, eutrophication, and pollinator loss from within the cascading “climate crisis” kaleidoscope.

The interrelatedness of nature and climate is useful to underpin “systems-led” approaches designed by scientists and economists. But nuance is lost in the frequent conflation of nature and climate, not least around measurement and metrics. The topic of climate beats nature to take first place within the global sustainable development agenda. This is partly because it is relatively easier to measure (although still complex!), presenting a clear starting point of emissions metrics, backed by an extensive science and policy landscape that produces detailed warming scenarios for the planet.

Biodiversity loss, on the other hand, can be a more elusive concept. It is not easily captured in a simple or single indicator. Composed of many elements beyond the headline-grabbing topic of species extinction, biodiversity loss has several direct and indirect drivers and impacts.

‘Ecosystem services’ – including services provided by the natural world such as the organic decomposition of waste, the cleaning of toxins from the air and the regulation of water – are dynamically complex. Such critical services elude monitoring, and evade an easy fit into comparable metrics, especially to assess dependencies for businesses.

Biodiversity data, and methodologies that can effectively capture shifts in biodiversity, are increasingly recognised as crucial for the life-cycle assessment of the products and services of companies, and the policies and activities of governments. The concepts and frameworks for nature-related risk therefore need to be demystified and identified in their own right, so that they can be quantified and incorporated into financial decision-making.

A continuum of risks – or distinct niches?

So where does a disaster- or climate-related risk end, and a nature-related risk start? Do they exist in a continuum, or should they be considered as distinct but interrelated?

These taxonomy and process-led questions matter because they can confound and hinder concerted action to combat the risks emanating from the natural world. And they also matter because the science tells us that biodiversity loss and climate change are intrinsically linked –biodiversity loss intensifies climate change, and the latter is a key driver of biodiversity loss – justifying calls for the harmonisation of resources to address the two concurrently.

Such big, existential questions can scare off politicians and business leaders. Without definitions and guiding limits, reporting standards can’t easily be set, and without standards, company directors can’t justify prioritising nature-related risk. Without a deeper understanding of how to monitor impact, policymakers find it difficult to allocate budget to this unproven new area.

Starting to measure nature and risk: big numbers on a global scale

In recent decades, the international sector – including multilateral environmental processes and instruments – have undertaken the complex task of creating frameworks for risk-related terminologies, together with quantifying and qualifying policy action, greener trade prospects, and finance mechanisms.

The common denominator of the growing body of international frameworks and guidance acknowledges that nature-related risks are complex and multi-layered. They also underline that nature-related risks are themselves major risks to global prosperity – giving rise to the conundrum of cascading risk scenarios.

The main effort has been to quantify nature-related risks in dollar terms, based on current and future climate impacts. There have been some broad-brush approaches to measuring the impact of nature on human activity. A much-quoted figure from World Economic Forum (WEF) research informs us that more than half of the world’s gross domestic product, US$44 trillion worth of assets, are dependent on nature. The value of pollination by bees and other insects has been estimated at US$217 billion per year.

These numbers are overwhelming. However, without nature-related risks being quantified at national, company, or industrial sector levels, the costs associated with such risks fall, in practical terms, into the economic box labelled “externalities.” No one actor or series of actors takes responsibility for causing, contributing to, or reacting to, nature-related risks. The impacts of these risks – from ocean acidification to the disruption of waste decomposition – often gounnoticed by the majority of political and economic leaders.

Mainstreaming nature: the global biodiversity framework

The numbers above should be a reason for concern – presenting an enormous challenge. How should nature-related risk be managed at national level, and business level, with the urgency that is required?

International initiatives, and certain regional initiatives such as the EU’s Biodiversity strategy for 2030, are building some momentum for nature-related risk research and action. The post 2020-Global Biodiversity Framework, an output from the COP15 summit, will finish in early 2022, and is expected to acquire the stature of the Paris Agreement on Climate Change in terms of its expected ramifications. The Framework calls for wide-ranging action from state and non-state actors, and has been heralded as the most extensive global conservation mechanism to address nature loss to-date.. Its 10-year strategy sets out 21 urgent action-oriented targets, with particularly high aspirations for businesses, big and small. Specifically, the first draft of the framework calls for businesses to evaluate and report dependencies and impacts on biodiversity, to show progress towards mitigation of negative impacts, and to aim for full sustainability of production and extraction practises, and of sourcing and supply chains.

Similar to the Paris Agreement, the Global Biodiversity Framework intends to leverage private finance, with its own ambitious target of US$200 billion per year. Interestingly, the International Union for the Conservation of Nature reports that two-thirds of the Paris Agreement signatories had nature-based solutions as part of their national climate-action strategies. The success of the Global Biodiversity Framework could thus well be the true measure of the public-private continuum for mainstreaming nature-related risk.

International collaboration on a global reporting framework is underway. The TNFD, with its promise of a risk management and disclosure framework, is likely to be a big step forward. Given the complexities of nature-related risk action, it will place emphasis on transitioning from “nature-negative activities to nature-positive activities”.

The potential role of international trade

The World Trade Organisation (WTO), which holds the mandate to develop modalities for enhancing market access of environmental goods and services, could play a facilitative role in the transition towards nature-positive action. The Trade and Environmental Sustainability Structured Discussions is a recent WTO initiative to help ensure that international trade and its policies better support resource-efficient circular economies and sustainable supply chains. Through this initiative, the WTO could play an indispensable role in sharing best practices – pooling information across the full value chain of products and materials. Such an initiative could, for example, contribute towards enhanced traceability systems to make supply chains deforestation-free.

The EU’s Carbon Border Adjustment Mechanism (CBAM) is designed to level the playing field on economic competitiveness and prevent the risk of carbon leakage in certain sectors. CBAM could raise the bar for countries on climate-positive action; however, the mechanism remains highly controversial, dubbed as protectionist rather than precautionary, given its potential to restrict exports and export-led development from developing and least-developed countries.

Developing countries that champion the principle of “common but differentiated responsibility” consider unilateral carbon adjustment programs to be unfair and potentially WTO-inconsistent, and call for such climate-related action to be the exclusive dominion of UN Climate Change (UNFCCC). The EU, on the other hand, supports the CBAM’s design as being WTO-compatible.

Harmonising methods for assessing embodied carbon in traded products is quite likely to prove to be a challenge.

If trade instruments could provide the incentive to account for carbon, could they also potentially incentivise wider nature-related risk incorporation and greener supply chains?

Reporting wider “nature-related” impacts and risks could quite possibly be a next step for exported products as well – but this could well face the same growing pains and controversies. Measurements are likely to be even more difficult, given the slow progress in developing indicators to assess biodiversity and wider measurement frameworks. Even so, once global efforts to put a price on carbon bear fruit, larger-scale efforts to put a price on the value of nature would be the natural next step forward (no pun-intended!).

The next steps

We are in a moment of calm before a storm of nature-related publications.

The Global Biodiversity Framework is expected to be agreed to in 2022 and the TNFD’s framework will not be released until 2022–23. Neither is legally binding, and so will take time to be incorporated by reporting companies and governments alike.

The Task Force on Climate-related Financial Disclosures, the climate forerunner to the TNFD, comes into binding force in its first adopting countries – the United Kingdom and New Zealand – from 2022–23; so it will be interesting to see the outcomes from those early reporting years. We will see whether TNFD might be made mandatory in the same way as the TCFD, and even whether it would share the TCFD’s reporting structure.

There is a clear delay between recommendations and action, and much depends on political will and private initiative. TCFD recommendations were released in 2017, and we can expect for the TNFD and Global Biodiversity Framework to be adopted just as slowly – although perhaps the TCFD’s template will make these following initiatives quicker and easier.

In addition to time delays, global soft law initiatives frequently suffer from implementation and financing gaps. Public finance and political will are unpredictable, so private sector initiative and investment has become the essential condition for effective implementation. This dependency can lead to slower action than the initiative leaders might desire, but it can also offer a window for sustainability-oriented companies to lead the way in creating new nature-positive and greener economic markets. The call to action by the Business for Nature Strategic Advisory Group and the work of the Global Partnership for Business and Biodiversity are significant initiatives in this regard.

Forward-looking companies realise the risks to their business models that come from nature, as well as the opportunities for profit and longevity in restoring, “rewilding” and conserving nature: Unilever, Marks & Spencer and Kering are just some of the companies leading the way with innovative biodiversity strategies genuinely embedded into their business practices.

Without formal guidance and international standards to create the links, nature-related risks are of course likely to become even more layered, which may compound potential cost estimates and disincentivise action. Nature-related risks affect multiple sectors in diverse ways and dependencies may be even more complex to quantify than impacts.

Looking ahead

Nature-related risk action has finally risen in the agenda of governments and organisations around the world, much to the delight of scientists and risk experts who have long championed this important topic.

In one sense, there may not be a more opportune moment to address this – the COVID-19 pandemic has demonstrated how an environmental problem can have debilitating and far-reaching effects on real economies, financial systems, and social fabrics. Aptly dubbing them as “green swans”, the Bank of International Settlements identifies climate and nature-related financial risks as exposed to “radically uncertain” ecological problems, due to their complex dynamics and domino effects. As nature becomes enmeshed in internationally orchestrated diplomacy and initiatives, there will be more awareness, but also more complexity.

Progress will also entail developing harmonised frameworks for grasping the financial materiality of nature-based risks in the long-term – not just the short-term. Once out the other side, the implications for economic and financial activity, from business to government, will hopefully be clearer and easier to act on.

But in the meantime, all organisations should be wholehearted in their approaches to evaluating nature-related risks, to exploring mitigation opportunities, and to generating data and strategies to fill the current knowledge and action gap in this pivotal area.


Martha McPherson is Sustainability Director at Design Portfolio in London.

Manleen Dugal is an independent consultant (Law and Policy) on international trade, development, and environment. She has been an advisor to WTO members since 2004.

Ria Sen is Preparedness Lead at the United Nations World Food Programme-led Emergency Telecommunications Cluster.

The views presented in this article are solely those of the writers, and not reflective of any organisation they have been, or currently are, affiliated with.

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