companies are encouraged to lay out and implement anti-corruption policies and mechanisms to alleviate corruption risks directly and promote more efficient and transparent provision of public sector services
years after the assessment. The plan is encouraged to be published in the public domain where it can be tracked by general public. For example, posting a remediation plan on the company website would help
identify and manage potentially material environmental and social risks associated with the projects. Issuers are encouraged to position this information within the context of the issuer’s overarching
activities that pose a negative social impact related to alcohol, gambling, tobacco and weaponry are excluded from the ASEAN SBS. Issuers are also encouraged to develop a list of additional ineligible projects
criteria or any other process applied to identify and manage potentially material social and environmental risks associated with the projects. Issuers are encouraged to position this information within the
(where relevant). For sustainability-linked bonds (i.e., bonds with a general corporate use of proceeds), Second Party Opinions or other (typically pre-issuance) external reviews are encouraged but
-China & Japan), PRI, said: “The PRI has been deeply encouraged by the strong growth in adoption of responsible investment practices and recognition of the importance of sustainability issues such as
$1.3 trillion committed to action on the SDGs and climate.” Mr. James Robertson, Head of Asia (ex-China & Japan), PRI, said: “The PRI has been deeply encouraged by the strong growth in adoption of
stewardship responsibilities on behalf of its clients. Following the publication in 2011 of the Stewardship Supplement to Technical Release AAF 01/06, asset managers are encouraged to have the policies
designated by the Issuer throughout the tenure of the ASEAN Green Bonds. • Encourage More Frequent Reporting In addition to annual reporting, Issuers are encouraged to provide more frequent periodic reporting