SBFN Member Since:

2012

Member Organisations

State Bank of Vietnam
Vietnam Ministry of Natural Resources & Environment

Progress Against Pillars and Sub Pillars

This graphic can also be found within this country’s 2019 Country Progress Report. 

Framework Documents

RefCountryPolicies/ Principles/ GuidelinesYearIssuer
213Vietnam

How to Issue Green Bonds, Social Bonds and Sustainability Bonds

2021State Securities Commission of Vietnam
214Vietnam

Decree No. 53 – Regulations on Individual Corporate Bond Offerings and Transactions in the Domestic Market and Corporate Bond Offerings in the International Market

2020The Government of Vietnam
215Vietnam

Decision Approving the Scheme on Green Bank Development in Vietnam (No 1640/QD-NHNN)

2018State Bank of Vietnam
216Vietnam

Decree on Government Debt Instruments No 95-201-ND-CP (Vietnamese)

2018The Government of Vietnam
217Vietnam

Decree 163/2018/ND-CP on Corporate Bond Issuance, including Green Bonds

2018The Government of Vietnam
218Vietnam

Decision to set the Action Plan of the Banking Sector towards the 2030 Agenda and Vietnam SDGs No. 1731/2018/QD-NHNN

2018The Government of Vietnam
219Vietnam

Decision Strategy for the Development of the Banking Sector to 2025, Incorporating Green Credit Development No. 986/QD-TTg 11. Handbook on Social and Environmental Risk Assessment

2018State Bank of Vietnam
229Vietnam

Decision on Issuance of Action Plan of the Banking Sector to Implement the National Strategy on Green Growth Toward 2020 (No 1552/QD-NHNN)

2020State Bank of Vietnam
230Vietnam

Directive on Promoting Green Credit Growth and Environmental and Social Risks Management in Credit Granting Activities No 03/CT-NHNN_2015

2015State bank of Vietnam
231Vietnam

Circular to Facilitate the Development of Green Bonds 34/2013/TT-NHNN

2015State bank of Vietnam

Strategic Development - Alignment with global E&S standards and best market practices

S1.1 – Does the framework make reference to international E&S targets (SDGs, Paris Agreement, Global Compact)?

No

S1.2 – Does the framework make reference to established international E&S risk management standards (IFC PSs, EPs)?

Yes

S1.3 – Does the framework make reference to established international sustainability reporting standards (GRI, SASB)?

No

S1.4 – Does the framework make reference to established international climate finance reporting standards (TCFD)?

No

S1.5 – Does the framework ask to make E&S policies, practices and results externally verified (assurance, independent review)?

No

Strategic Development - Multi-stakeholder collaboration

S2.1 – Does the framework involve interagency collaboration between financial supervisors/regulators, industry association, and FIs?

Yes

S2.2 – Does this collaboration also include other public agencies (e.g., environmental agencies, ministries)?

Yes

S2.3 – Does this collaboration also include representatives of civil society (e.g., NGOs, associations, media)?

No

Strategic Development - Alignment to NDCs and with National or Regional Climate Change Targets

S3.1 – Is the framework aligned with national NDCs or other national and regional policies on climate?

Yes

(2) – NHNN – page 1
Decision No. 1552QD-NHNN – page 1
Decision No. 1552QD-NHNN (SBV, 2015)

S3.2 – Has the SBN member identified the main climate risks (transition/physical) for their local financial sector?

No

ESG Integration - Governance of E&S

Role of Governing Bodies on E & S

E1.1 – Does the country policy require one of the FI’s governing bodies (e.g., Board of Directors, Executive Committee, Supervisory Board, etc.) to approve an E&S strategy?

Yes

(1) – V. 3.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E1.2 – Does the policy require management to report on E&S strategy implementation to the governing bodies?

No

E1.3 – Does the policy require FI operational bodies to report to the governing bodies (or specific Board committee) on implementation of the E&S strategy?

No

Organization

E1.4 – Does the framework ask FIs to define E&S roles and responsibilities?

Yes

(3) – 2. Credit organizations – b)
Decision approving the Scheme on the green bank development in Vietnam (SBV, 2018)

E1.5 – Does the framework highlight the E&S roles of front office staff and second lines of defense (e.g. risk officers and/or compliance officers)?

No

E1.6 – Does the framework ask FIs to define E&S competencies for each role?

No

E&S Risk Management

E&S Policy

E2.1 – Does the framework ask FIs to formalize an E&S or ESG policy?

Yes

(1) – page 2 – IV. 1.&2.
Directive on – page 2 – IV. 1.&2.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E2.2 – Does the framework encourage FIs to go beyond E&S requirements of local laws and regulations?

Yes

(1) – page 2 – IV. 1. c)
Directive on – page 2 – IV. 1. c)
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E2.3 – Does the framework ask FIs to set E&S objectives and targets?

Yes

(3)
Decision approving the Scheme on the green bank development in Vietnam (SBV, 2018)

E2.4 -Does the framework ask FIs to publicly disclose their E&S policy and its governance?

Yes

(1) – page 3 – IV. 3.
Directive on – page 3 – IV. 3.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

Risk Assessment

E2.5 – Does the framework require FIs to carry out appropriate E&S due diligence at transaction level?

Yes

(1) – page 2 – IV. 2.
Directive on – page 2 – IV. 2.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E2.6 – Does the framework require FIs to carry out appropriate E&S due diligence at client level?

Yes

(1) – page 2 – IV. 2.
Directive on – page 2 – IV. 2.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E2.7 – Does the framework encourage FIs to categorize projects/clients according to their level of E&S risk?

No

E2.8 – For high-risk transactions, does the framework encourage site visits to be organized?

No

E2.9 – In case of negative E&S impacts, does the framework invite FIs to engage with clients to implement mitigation measures?

No

E&S Covenants

E2.10 – Does the framework ask FIs to incorporate E&S covenants and investment conditions into legal agreements with clients?

No

Project Supervision & Portfolio Review

E2.11 – Does the framework ask FIs to develop processes to manage E&S risks during supervision?

Yes

(1) – page 2 – IV. 2. c)
Directive on – page 2 – IV. 2. c)
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E2.12 – Does the framework encourage a periodic review of E&S risks at aggregate portfolio level?

No

Training

E2.13 – Does the framework ask FIs to develop and maintain E&S capacity through regular training?

Yes

(1) – page 1 – II. 2.(2) – page 2 – 2.2. a)
Directive No. 03/CT-NHNN – page 1 – II. 2.; Decision No. 1552QD-NHNN – page 2 – 2.2. a)
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015) | Decision No. 1552QD-NHNN (SBV, 2015)

E2.14 – Does the framework highlight the training of (i) front office staff, (ii) second lines of defense (risk officers and/or compliance officers), and (iii) E&S experts?

No

External Communication Mechanism

E2.15 – Does the policy require FIs to establish and maintain an inquiry/complaints/grievance mechanism in relation to E&S or ESG practices?

No

E & S Reporting

E2.16 – Does the policy require FIs to report regularly on E&S or ESG performance, including publicly, to investors or to regulators?

Yes

(1) – page 3 – IV. 3. & 4.
Directive No. 03/CT-NHNN – page 3 – IV. 3. & 4.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E2.17 – Does the policy make E&S or ESG reporting and disclosure more consistent across financial institutions through principles, guidelines, or templates?

Yes

(1) – page 3 – IV. 4.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E & S Integration - Enforcement

E3.1 – Is the implementation of the framework regularly verified or is information regularly collected from FIs?

Yes

(1) – page 3 – IV)
Directive on – page 3 – IV. 4.
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

E3.2 – Is there any financial and/or non-financial incentive for establishing ESRM systems?

No

E3.3 – Are there sanctions/penalties/warnings in case of noncompliance with the framework?

No

Climate and Green Finance - Products and Services

Defining sustainable assets and financial products

C1.1 – Does the framework provide definitions and examples of green assets?

Yes

(2) – page 3 – 2.3.a)
Decision No. 1552QD-NHNN – page 3 – 2.3.a)
Decision No. 1552QD-NHNN (SBV, 2015)

C1.2 – Does the framework provide a comprehensive taxonomy of green assets?

Yes

Correspondence No 9050-NHNN and Decree 40/2019

C1.3 – Does the framework provide definitions, examples, or a taxonomy of social and/or sustainable assets?

No

C1.4 – Besides debt products (loans, bonds), does the framework provide definitions and examples of different types of sustainable finance products/services (e.g., saving accounts, means of payment, insurance, private equity, etc.)?

No

Green Finance Product Guidelines

C1.5 – Does the framework provide guidelines for green loan/green credit or other green financial assets (excluding green bonds)?

Yes

(2) – page 3 – 2.3.a)
Decision No. 1552QD-NHNN (SBV, 2015)
Decision No. 1552QD-NHNN (SBV, 2015)

C1.6 – Does the framework provide guidelines for issuance of green bonds?

Yes

(4)
Decree 163/2018/ND-CP on corporate bond issuance (Government of Vietnam, 2018)

C1.7 – Does the framework refer to existing standards (e.g., ICMA’s Green Bond Principles or CBI’s Climate Bonds Standard)? 

Yes

C1.8 – Does the framework recommend external party verification (e.g., second party opinion, assurance, certification)?

Yes

Climate and Green Finance - Climate and Green Investment Reporting

Tracking and Disclosure of Climate & Green Finance

C2.1 – Does the framework ask FIs to report on climate/green finance flows (quantitatively or qualitatively)?

Yes

(1) – page 3 – IV) 4., page 4 – Template
Directive on- page 3 – IV) 4., page 4 – Template
Directive on promoting green credit growth and ES risk management in credit granting activities (SBV, 2015)

C2.2 – Does the framework ask FIs to report on climate risk exposure at portfolio level?

No

C2.3 – Does the framework encourage FIs to report publicly on their green finance activities (i.e. not only to the regulator)?

Yes

Climate and Green Finance - Measurement

Calculation of Environmental Benefits

C3.1 – Does the framework ask FIs to calculate the environmental benefits of their investments? (e.g., CO2 emission reduction, water saving, etc.)

No

C3.2 – Does the framework provide a taxonomy of potential environmental impacts?

No

C3.3 – Does the framework provide methodologies, tools, and/or templates to measure and report these impacts?

No

Climate Risk Exposure Assessment

C3.4 – Does the framework ask FIs to monitor climate risk exposure at portfolio level?

No

C3.5 – Does the framework refer to specific climate risk exposure methodologies (e.g., climate scenario analysis, climate risk stress testing, calculation of carbon risk exposure, tracking of energy efficiency for real estate portfolio)?

Yes

C3.6 – Does the framework encourage FIs to take mitigating steps on these risks?

No

Climate and Green Finance - Incentives

Financial and Non-Financial Incentives

C4.1 – Does the framework provide any type of incentives for green financial products and services?

No

C4.2 – More specifically, does the framework introduce financial incentives on green products and services?

No