Received
Decided
Request Reference access to aggregated information (for each year 2021–2025) regarding your integration of climate-related and environmental risks into the prudential supervision of credit institutions. This request is limited to supervisory activities within the scope of the CRR/CRD framework and related national and international rules and guidance... Specifically, I request the following information for each year 2021, 2022, 2023, 2024, and 2025: A) Inputs – Supervisory Capacity 1) Staffing: The annual number of full-time equivalent (FTE) staff at your institution dedicated to prudential supervision of climate/environmental risks... 2) Training: The annual number of training hours provided to prudential supervisory staff on climate or environmental risk topics at your institution. B) Methods – Supervisory Procedures 1) Do your official supervisory manuals, methodology documents, or guidance to the market include specific references to climate-related or environmental risks as drivers of prudential risk categories? (Yes/No) 2) If Yes, please provide the titles and latest adoption or revision dates of those documents... 3) If No, please indicate if any such guidance is under development or planned (if known/applicable). FOI-2025-001697 10/10/2025 C) Activities – Supervisory Examinations (annual counts of each type of activity): Commercial Refused 24/10/2025 1) On-site inspections of banks that included a climate/environmental risk module or component as part of the prudential risk assessment. 2) Off-site supervisory reviews (e.g. desk-based reviews or analysis) that explicitly included climate/environmental prudential risks in their scope. 3) Horizontal or thematic reviews or studies focused on climate/environmental prudential risks... D) Outcomes – Supervisory Measures 1) Qualitative measures: for example, supervisory findings or requirements such as remediation action plans, governance improvements, risk management enhancements, or other non-capital directives tied to climate/environmental risks. 2) Quantitative measures: for example, capital add-ons or adjustments explicitly attributed in whole or part to climate/environmental risks... E) Enforcement – Prudential Actions 1) Annual number of enforcement actions or administrative penalties under banking prudential law where climate or environmental risk management deficiencies were an explicit reason... F) Coverage – Contextual Indicators 1) The annual number of credit institutions under your direct prudential supervision... 2) The annual aggregate balance sheet total (in EUR) of those institutions under your supervision (to provide a sense of scale of the banking sector you oversee)...
Requester Type
Central Bank of Ireland

FOI request