This report shows public data only. Is this your organisation? If so, login here to view your full report.

Loomis, Sayles & Company, L.P.

PRI reporting framework 2020

You are in Strategy and Governance » Investment policy


SG 01. RI policy and coverage


01.1. 責任投資アプローチをカバーする投資ポリシーを策定しているかどうかを明示してください。

01.2. ポリシーの構成要素/種類と対象範囲を示してください。

          Payday Loans Prohibited: Securitized Assets

01.3. 投資ポリシーが以下のどの項目をカバーしているか明示して下さい:

01.4. 組織の投資原則および全体の投資戦略、受託者義務(または同等のもの)の解釈、ならびに、ESGファクターおよび実体経済の影響をどのように考慮に入れているかについて説明してください。

At the heart of Loomis Sayles’ investment management process is the goal of providing superior long-term, risk-adjusted returns for our clients. We fully recognize the important role that environmental, social and governance (“ESG”) issues play in the global economy, financial markets and society at large. Our investment teams take into account a wide range of investment criteria that could impact the sustainability of issuers.  We support our investment professionals in considering ESG factors that may be material to investment performance.

01.5. 責任投資アプローチをカバーする組織の投資ポリシーの重要な構成要素、バリエーション、例外事項を簡潔に説明してください。[任意]

We believe that ESG issues play an important role in the global economy, both from a business and investment perspective. Loomis Sayles embraces its duty to act at all times in our clients' best interests, and we believe that ESG issues impact our goal of achieving superior, risk-adjusted returns. We understand that environmental, social, and corporate governance practices may present risks that need to be evaluated, and we analyze these risks as part of our fundamental research process. With respect to integration, we expect our investment professionals to consider all available macro, fundamental and quantitative research insights, including those related to ESG. With respect to screening, Loomis Sayles does not impose any ESG restrictions or exclusions on the investment process. Any screening is mandated by our clients' guidelines or by regulation.

Our research analysts take into account a wide range of investment criteria, including potential ESG-related risks and opportunities that could impact the desirability and suitability of investments. The analysts strive to develop a thorough understanding of the risks and opportunities associated with an issuer’s management strength and strategy, governance, and use of human and natural resources, as well as regulatory and political risks. These factors are critical to evaluating the long-term sustainability of an issuer, its profitability and, ultimately, its expected contribution to client portfolios.

Investment risk (including ESG related issues) is continuously monitored by the portfolio managers ("PMs") and the Chief Investment Officer ("CIO") through the various reports and analysis, as well as through the reports and stress test scenarios produced by Quantitative Research and Risk Analysis and the research teams. The reports generated by these risk measurements are used by the CIO for the overall oversight of the active investment strategies offered by Loomis Sayles. The CIO oversight also forms the basis for discussions during the Investment Risk Review Committee meetings.

The Investment Risk Management Group (“IRM Group”) was created to aid the CIO in oversight of the numerous products we currently offer. This group is led by the Chief Investment Risk Officer ("CIRO"), who has eight team members. Reporting directly to the CIO, it is the responsibility of the CIRO to independently monitor the contributions to risk and return from various sources such as: market risk, credit risk, sector risk, interest rate risk, currencies, liquidity, counterparty exposure and securities, ESG exposures and is now integrating climate data, on both an absolute and relative basis. In addition, the CIRO will lead the CIO & Investment Risk Review effort, in understanding strategy, risks, implementation, processes, and sources of dispersion for each product.

In addition, Loomis Sayles has designed and implemented a proxy voting policy in the best interests of its clients, and that policy takes into consideration ESG matters.

01.6. 補足情報 [任意]


SG 01 CC. Climate risk

01.6 CC. 投資期間において特定され、組織の投資戦略・商品に組み込まれている気候関連のリスクおよび機会について記述してください。

組織が気候関連の移行リスク・物理的リスクおよび機会を特定するためのプロセスをまだ踏んでいない理由を説明してください。(500 語以内で自由に記載)

Loomis Sayles examined its approach to climate change in 2019. Some of the 2019 initiatives included:

•    Assigned responsibilities for climate change to the Director of ESG, the ESG Committee, and the ESG Advisory Board  
•    Established a Climate Change Subcommittee under the ESG Committee
•    Hired an external climate-focused consultant to carry out climate training for its analysts and portfolio managers, and to provide potential next steps or a roadmap for TCFD implementation
•    In 2020, the CEO has identified climate change as a key focus area, and priority for the firm.

Loomis Sayles is planning to do further substantive work on climate change in 2020, including the use of tools such as climate related scenario analysis as recommended by the TCFD.

01.8 CC. 組織はTCFDを公式に支持しますか?


 Loomis Sayles intends to publicly endorse the TCFD in 2020.

01.9 CC. 重大な気候関連リスクおよび機会を特定・管理する組織全体の戦略がありますか?


In 2019, Loomis Sayles committed to deepening its climate change-related technology and education, so that its investment teams will continue to have access to the best resources and tools available. The goal of this effort is to ensure that climate change data is easily integrated into investment analysis and decision making processes.  The result of this work was a decision by the CEO, in collaboration with the ESG Committee and the ESG Advisory Board, that the focus area for the year will be Climate Change.  Inclusion of climate change considerations in ESG integration across the organization is fully backed by the Management Committee and the Board.

Loomis Sayles provides ESG and climate-related tools, data, training and other resources to the investment teams. The teams determine the extent to which climate-related information is material for their own investment decision making process.

The Director of ESG has collaborated with the Head of ESG at our parent, Natixis, to create a Climate Change Working group, where the affiliates of Natixis will meet monthly via conference call, and share knowledge and best practices related to climate change.  This initiative started in the first quarter of 2020.

1.10 CC. TCFD開示を発表するために組織が使用する文書/通信を示してください。

SG 02. Publicly available RI policy or guidance documents


02.1. 一般に入手できる組織の投資ポリシー文書を記載してください。その文書のURLを記入し、該当文書を添付してください。







02.2. 一般に入手できる組織の投資ポリシー文書を記載してください。その文書のURLを記入し、該当文書を添付してください。










02.3. 補足情報 [任意]

Understanding and incorporating client/beneficiary sustainability preferences: Loomis Sayles itself does not impose any ESG restrictions or exclusions on the investment process. Any screening is mandated by our clients' guidelines or by regulation, and we strive to ensure that we have understood any preferences that are expressed in each client's guidelines.

Climate change: Over the last year we developed a technology portal, the ESG Center, that serves as a central location for external and internal ESG data and tools.  We have the ability to measure and monitor the carbon footprint of our portfolios, and compare it to relevant benchmarks, using our MSCI calculator.  We plan to incorporate this data into our ESG Center. In addition, we have assessed a number of additional data vendors and are considering integration of their carbon footprint tools and climate change data. Lastly, our Chief Investment Risk Officer has incorporated carbon footprint data and other ESG metrics in his semi-annual investment team reviews.  The CIRO and the ESG Committee are assessing additional climate-related data in 2020, which will be incorporated in the investment team risk reviews.




SG 03. Conflicts of interest

03.1. 組織として、投資プロセスにおける潜在的な利益相反を管理するポリシーを策定しているかどうかについて明示して下さい。

03.2. 投資プロセスにおける潜在的な利益相反を管理するポリシーについて説明してください。

Loomis Sayles may encounter potential conflicts of interest.  The potential for encountering such conflicts may arise as a result of the types of clients it advises, clients' investment strategies, or the presence of competing interests.  By favoring itself, a related party or another client, Loomis may fail to act in the best interest of a client.  When assessing a potential conflict of interest, Loomis must consider whether it: (1) is likely to make financial gain, or avoid financial loss, at the expense of client; (2) has an interest that is separate and distinct from that of the client in the outcome of the service provided to the client or of a transaction carried out on behalf of the client; (3) has a financial or other incentive to favor the interest of one client over that of another client; or (4) receives from a person other than the client an inducement in relation to the service provided to the client, in the form of higher fees. Loomis Sayles regularly reviews its business to identify potential conflicts of interest and adopt appropriate policies and procedures to manage new conflicts. The firm also has oversight committees to monitor conflicts of interest.  

03.3. 補足情報 [任意]

While we are not currently signatories to the ICGN Global Stewardship Code, it is in the spirit of many of the organizations that we continue to learn about and assess for potential official adherence.   Within the ESG and sustainability space, we continue to assess best practices.  For example, we are signatories to the UK Stewardship Code and the LGPS Transparency Code.  More generally, though it is impossible to anticipate all possible conflicts, Loomis Sayles has indentified those potential conflicts that the firm believes it is most likely to encounter while pursuing its normal business operations. Loomis Sayles' Conflicts of Interest Policy provides an explanation of the firm's policies and procedures for mitgating and managing risks associated with: (1) production and use of inaccurate and/or misleading sales and marketing materials; (2) affiliated trading that favors broker-dealers employed by Loomis Sayles' parent company against the best interests of Loomis Sayles' clients; (3) use of soft dollars generated by clients' commissions to offset Loomis Sayles' costs otherwise incurred; (4) use of financial benefit from errors in a way not in the best interests of clients; (5) relationships with broker-dealers that provide incentives not in the best interests of clients; (6) receipt of gifts and entertainment that could influence recommendations not in the best interests of clients; (7) allocation of investment opportunities that does not treat clients equitably; (8) payment of performance fees received by investment teams that cause preferential treatment to hedge funds managed side by side with other products; (9) cross trading of securities among client accounts in a manner not in the best interest of all accounts involved; (10) allocation of client transactions to broker dealers as a reward for certain sales that may result in best execution; (11) personal trading not in the best interest of clients; (12) engagement in outside business activities that conflict with the best interest of Loomis Sayles and/or its clients; (13) investing in private placements that may create a conflict of interest; and (14) inappropriate pricing of securities for products and accounts that are charged fees based on the value of clients' portfolios. 



SG 04. Identifying incidents occurring within portfolios

04.1. 組織では、投資先企業において発生するインシデントの特定と管理を行うプロセスを設定しているかどうか明示して下さい。

04.2. インシデントを管理するプロセスを説明して下さい

Loomis Sayles' research analysts are responsible for identifying and reporting on incidents that occur within portfolio companies as part of their coverage of those companies. We consistently measure and monitor analysts' views, ratings and recommendations relative to outcome.  

Examples of climate-related incidents may include: 

  • Negative press about specific issuers due to the absence of carbon-related targets for high carbon emitters
  • Potential reputational risk to energy or utility companies due to climate-related litigation