| Organisational Overview | ||||||
| Organisational Overview This section captures information that helps determine if some of the subsequent questions are required and also plays a role in benchmarking. Please make sure you provide accurate answers. This is also one of the more challenging sections as it may require gathering information from multiple sources. We suggest you collect all this information before progressing to other parts of the questionnaire. | ||||||
| 1. What were your organisation's total assets under management as of the most recent count (in millions)? (Estimating to the nearest hundred million as of December 31 2008 would be preferable - although the most recent available count would be sufficient. If your currency is not listed, please select 'other' and indicate your currency or convert to United States dollars.) | 4000 | |||||
| Please select currency | United States dollar (USD) | |||||
| 1a. If 'Other' was selected, please specify the other currency here | No Answer | |||||
2. Please pick the one category and level of complexity that best describes your organisation (if your organisation is a pension fund, please also select your pension type). This information may be used to provide you with the best possible benchmarking. Complexity
| ||||||
| Hedge fund manager | Highly complex | |||||
| 2a. If 'Other' was selected, please specify the other category here | No answer | |||||
| 3. Please provide an approximation of your average asset mix for 2008 or your asset mix as of the most recent count (in percent):(+/- 5% is sufficient. The sum of all the fields must be 100%) | ||||||
Active | Passive | Active | Passive | |||
| Listed equity (developed markets) | 0 | 0 | 1 | 0 | ||
| Listed equity (emerging markets) | 0 | 0 | 1 | 0 | ||
| Fixed income (not including corporate issuers) | 0 | 0 | 1 | 0 | ||
| Fixed income (corporate issuers) | 0 | 0 | 1 | 0 | ||
| Private equity | 0 | 0 | 0 | 0 | ||
| Listed real estate or property | 0 | 0 | 0 | 0 | ||
| Non-listed real estate or property | 0 | 0 | 0 | 0 | ||
| Hedge funds | 95 | 0 | 0 | 0 | ||
| Commodities | 1 | 0 | 0 | 0 | ||
| Infrastructure | 0 | 0 | 0 | 0 | ||
| Cash | 0 | 0 | 0 | 0 | ||
| 0 | 0 | 0 | 0 | ||
| Governance, Policy and Strategy | ||||||
| Governance, Policy and StrategyQuestions 5 through 15 are about the governance and oversight of your organisation's responsible investment activities and the associated policies and strategy. This section will be scored separately from the six Principles."Policy" in this section may refer to one overall RI policy or multiple policies that address various elements of RI. | ||||||
| 5. Do you have a policy that makes specific reference to responsible investment (RI) or environmental, social, and governance (ESG) issues? | Yes | |||||
| 6. If you have a policy that makes specific reference to RI/ESG issues, which of the following Principles does it address?(Please check all that apply.) | Principle 1: We will incorporate ESG issues into investment analysis and decision-making processes.,Principle 3: We will seek appropriate disclosure on ESG issues by the entities in which we invest.,Principle 4: We will promote acceptance and implementation of the Principles within the investment industry.,Principle 5: We will work together to enhance our effectiveness in implementing the Principles.,Principle 6: We will each report on our activities and progress towards implementing the Principles. | |||||
| 7. If you have a policy that makes specific reference to RI/ESG issues, which of the following asset classes does it apply to?(Please check all that apply.) | Hedge funds | |||||
| 8. If you have a policy that makes specific reference to RI/ESG issues, when was your policy last reviewed? | Within the last 3 years | |||||
| 9. If you have a policy that makes specific reference to RI/ESG issues, has it been disclosed publicly?(If answering yes, please indicate how this statement can be obtained - a URL would be sufficient. If answering no, please explain why not.) | Yes: 'http://www.harcourt.ch/manual/documents/harcourt_engagement_report.pdf' | |||||
10. To what extent has your approach to responsible investment been translated into a plan of action as reflected in business planning, strategic planning, or similar internal management processes?
| To a moderate extent | |||||
| 11. Who within your organisation has responsibilities related to RI implementation?(Please check all that apply.) | Chief Executive Officer or Chief Investment Officer or equivalent,Middle management | |||||
| 12. Do you have a policy or approach/process that requires screening out or excluding stocks or sectors from your investment universe? | Both stocks and sectors | |||||
| 13. What are your reasons for screening out or excluding stocks or sectors from your investment universe?(Please check all that apply.) | We (and/or our clients) wish to avoid supporting the companies/sectors in question based on ethical considerations and we regard buying/holding their stock as providing such support,We believe that it is possible to exclude companies/sectors which will prove to be long term chronic underperformers in terms of their ability to maintain and grow earnings i.e. our exclusion is based on a high level integration,We believe that exclusion is a way in which we can influence the behaviour of companies (i.e. an element of our approach to engagement),We believe that certain companies/sectors are vulnerable to negative publicity surrounding the nature of their business and that this may have an adverse effect on share price performance (i.e. our screening is based on controlling investment risk) | |||||
| 14. Please describe how your organisation assesses if there is a link between your RI activities and the performance (risk and return) of your investments: | Being pioneers in the hedge fund industry with regards to RI, we closely monitor the performance and risk effects that our incorporation of RI have on the hedge funds that we in turn get to incorporate RI in their hedge fund strategy. This monitoring procedure is done as part of our existing risk management monitoring procedures conducted by our risk management department | |||||
| 15. Please add any overall comments and clarifications related to Governance, Policy, and Strategy here. | Harcourt's RI strategy was incepted in November 2007 (following ca 1.5 years of preparation) when we launched an SRI compliant fund of hedge funds in a unique collaboration between ourselves and two large RI dedicated asset owners (Storebrand of Norway and Folksam of Sweden). Since then we have further developed our RI work, which today is an integral part of our business as an independent fund of hedge funds manager. We have a public and clear quest to get hedge funds to increasingly embrace RI into their investment activities and our RI initiative has received much positive response from our industry peers. Through our RI work, more than 30 hedge funds have made adjustments to fit the RI requirements we have developed jointly with Folksam and Storebrand. | |||||
| Principle 1 | ||||||
Principle 1: We will incorporate ESG issues into investment analysis and decision-making processes.For the purposes of this questionnaire, integration is the consideration of ESG issues alongside traditional financial measures, based on the belief that ESG issues can affect the performance (risk and/or return) of investment portfolios (to varying degrees across companies, sectors, regions, asset classes and through time). Please note that the view that ESG issues can influence investment returns may be based either on
| ||||||
| 16. Please provide a one to two paragraph description of your approach to this Principle.This question and similar questions relating to each of the other Principles are being asked for three reasons. The first reason is to gather details regarding signatory implementation for inclusion in the PRI annual report on progress. The second reason is to capture activities not captured directly by questions in the Reporting and Assessment Tool. The third reason is to provide context and details to support verification calls. | As stated above, Harcourt embarked on its RI quest with the launch of our Belair Sustainable Alternatives SRI Fund in November 2007, a fund that invests in underlying hedge funds that are all in compliance to the RI policy we have developed in collaboration with our RI partners (two of Europe's largest RI focused Asset Owners and founding co-founders of UN PRI). Through Belair, we play an important role in the hedge fund industry to promote the understanding, acceptance and embracement of RI by hedge funds. Harcourt is specialized in assessing hedge funds and creating portfolios of hedge funds. In our RI work, Harcourt makes strong developments in following UN PRI principle 1 as RI is always addressed and assessed with most of the hedge funds that we meet as part of our normal business activities, which amounts to ca 1000 hedge fund meetings per annum. | |||||
| Integration of ESG issues into investment analysis and decision-making processes of internally managed assets | ||||||
| 17. For what percentage of your internal assets under active management do you integrate RI/ESG issues into your internal investment decision-making processes (in percent)?(+/- 5% is sufficient.) | ||||||
| Hedge funds | 9 | |||||
18. To what extent have you integrated RI/ESG issues into your internal active investment decision-making processes?(Applies only to investments that include integration of RI/ESG issues as indicated in Q17.)
| ||||||
| Hedge funds | To a large extent | |||||
19. When forming investment views, to what extent does your organisation gather and analyse ESG information, including, where applicable, information obtained from engagement activities?(Applies only to investments that include integration of RI/ESG issues as indicated in Q17.)
| To a large extent | |||||
20. To what extent do portfolio managers or others making investment decisions in your organisation apply the ESG information and analysis available to them when constructing and managing portfolios?(Applies only to investments that include integration of RI/ESG issues as indicated in Q17.)
| To a large extent | |||||
21. To what extent do you have a process for improving the effectiveness of research and portfolio management processes with regards to ESG factors?(Applies only to investments that include integration of RI/ESG issues as indicated in Q17.)
| To a large extent | |||||
22. To what extent do you have a process for assessing and improving internal investment staff competency to incorporate RI/ESG issues into investment analysis and decision-making processes?(Applies only to investments that include integration of RI/ESG issues as indicated in Q17.)
| To a small extent | |||||
| Integration of ESG issues into investment analysis and decision-making processes of externally managed assets | ||||||
| 23. For what percentage of your external assets under management are RI/ESG issues integrated into the investment decision-making processes of your external investment managers (in percent, +/- 5% is sufficient)? | ||||||
| Listed equity (developed markets) | 9 | |||||
| Listed equity (emerging markets) | 9 | |||||
| Fixed income (not including corporate issuers) | 9 | |||||
| Fixed income (corporate issuers) | 9 | |||||
24. To what extent have RI/ESG issues been integrated into the investment decision-making processes of your external investment managers?(Applies only to investments that include integration of RI/ESG issues as indicated in Q23.)
| ||||||
| Listed equity (developed markets) | To a large extent | |||||
| Listed equity (emerging markets) | To a large extent | |||||
| Fixed income (not including corporate issuers) | To a large extent | |||||
| Fixed income (corporate issuers) | To a large extent | |||||
25. To what extent do you consider the capabilities of external investment managers to incorporate RI/ESG issues when searching for, selecting and retaining your external investment managers?(Applies only to investments that include integration of RI/ESG issues as indicated in Q23.)
| To a large extent | |||||
| Integration - final comments | ||||||
| 26. Please add any overall comments and clarifications related to Principle 1 here. Please also describe any significant activities relating to Principle 1 that have not been captured by the questions above. | It is important to note that would have liked to provide answers for both internally and externally managed assets. Internally, we manage the exposure across hedge fund managers which all are legally obliged to always be in compliance to our RI Policy, which we monitor on an ongoing basis. The underlying hedge funds are provided with an approved list of RI compliant instruments to adhere to but they are not asked to make their own RI analysis but to only remain limited to that approved universe in their exposures. By externally managed assets, we would refer to the actual exposures held by our underlying hedge funds. Given that the hedge funds we invest in through our RI initiative complies to our RI requirements, we deem our RI work to be both internally managed and externally managed (via our underlying hedge funds.) Given the structure of the questionnaire, we have only answered in section re Internally managed assets. | |||||
| Principle 2 | ||||||
| Principle 2: We will be active owners and incorporate ESG issues into our ownership policies and practices. | ||||||
| 27. Please provide a one to two paragraph description of your approach to this Principle. | Through our RI work, we seek to play an important role to promote the expansion of RI in the hedge fund industry. As we at Harcourt solely invest through underlying hedge funds (and thereby having only indirect exposure to companies) we are constrained in the ability to be active owners on company level directly. However, active ownership and company engagement is in our RI initiative via our RI partners (Folksam & Storebrand) a critical element for achieving our joint RI objectives. We continuously seek to develop our RI work further, also in relation to Principle 2. | |||||
| (Proxy) voting - applies only to listed equity (developed markets), listed equity (emerging markets) and listed real estate or property. | ||||||
| 28. Do you have a (proxy) voting policy?(If 'Yes - disclosed publicly', please indicate how your (proxy) voting policy can be obtained- a URL would be sufficient. If answering no, please explain why not.) | No: 'not appclicable as explained in Q27' | |||||
| 29. Does your (proxy) voting policy address environmental, social, and governance issues? | ||||||
| Environmental | Not applicable | |||||
| Social | Not applicable | |||||
| Governance | Not applicable | |||||
| 30. Who decided how to vote on ballot items on behalf of your organisation in 2008?(Please check all that apply.) | We did not vote in 2008 | |||||
31. To what extent is information related to ballot items gathered and analysed before voting decisions are made?
| Not applicable | |||||
| 32. Do you ensure that voting is done in accordance with your voting instructions? | Not applicable | |||||
| 33. Do you inform companies of your rationale when you abstain or vote against management recommendations? | Not applicable | |||||
| 34. Please indicate how many resolutions you could have voted on and how many resolutions you did vote on in 2008:(include abstentions as votes where votes against are not possible, use the last available one year period if information for 2008 is not available or too difficult to gather, approximate numbers are acceptable. If you are unable to provide the exact number please provide an approximation of the percentage by entering 10 in the 'Resolutions could have voted on' column and your estimate in the 'Resolutions voted on' column. So if you voted on about 70% of the possible resolutions you would enter 7 in the 'Resolutions voted on' column. If you are not sure, please enter a 1 in all four fields.) | ||||||
| Domestic | 0 | 0 | ||||
| Foreign | 0 | 0 | ||||
| 35. For the listed equities that you manage, do you provide (proxy) voting services for your clients if they request them? | No | |||||
| 36. How does your securities lending program address voting? | We do not have a securities lending program | |||||
| 37. How many shareholder resolutions related to ESG issues did you file or co-file during 2008? | ||||||
| As lead filer | 0 | |||||
| As co-filer | 0 | |||||
| Planning to be lead filer in 2009 | 0 | |||||
| Planning to be co-filer in 2009 | 0 | |||||
| 38. Please explain why you did or did not file or co-file any shareholder resolutions related to RI/ESG issues during 2008: | Internally we are not able to engage ourselves as active owners given that Harcourt never invests directly in companies but solely indirectly to companies via our direct investments in hedge funds. Externally, however, through our RI initiative with Bealir we are active owners via our RI partners Storebrand and Folksam. Answers pertaining to what we do externally pertains to the work done by Folksam and Storebrand where Harcourt has indirect influence in our collaboration with them to running the Belair RI initiative. | |||||
| Engagement - general | ||||||
| 39. Who engaged with companies to seek ESG improvements in 2008?Please rank who engaged with companies according to their importance within your overall active ownership activities. You can only select Most, Second, Third and Fourth most important once each. Only the method you rank as 'Most important' will be scored for benchmarking purposes. If you wish to request that your other methods of engagement also be scored, please complete all the relevant sections and email the PRI at assessment@unpri.org when you submit your response. | ||||||
| Internal staff | Did not engage with companies in 2008 | |||||
| External investment manager(s) | Second most important | |||||
| External engagement service provider(s) | Most important | |||||
| No Answer | |||||
| 40. Do you have a written engagement policy or other documents that direct engagement?(If 'Yes - disclosed publicly', please indicate how your policy can be obtained- a URL would be sufficient.) | Not applicable | |||||
| 41. If you have an engagement policy or other documents that direct engagement, what do they include?(Please check all that apply.) | No Answer | |||||
| 42. How many companies are you invested in? | 2200 | |||||
| Engagement - internal staff | ||||||
43. This question is not applicable to you due to your response to Q39 regarding who engages with companies. To what extent do you have a process for identifying and prioritising ESG related engagement opportunities?
| No Answer | |||||
44. This question is not applicable to you due to your response to Q39 regarding who engages with companies. How many portfolio companies did you engage with on ESG issues in 2008?
| ||||||
| Extensive engagement | ||||||
| Moderate engagement | ||||||
| Basic engagement | ||||||
| 45. This question is not applicable to you due to your response to Q39 regarding who engages with companies. What proportion of your engagements addressed environmental, social or governance issues (in percent)?(One engagement may address more than one issue, so the three percentages need not add to 100%. For example, if you only had one engagement and it addressed environmental and governance issues then the answer would be 100% for environmental and 100% for governance.) | ||||||
| Environmental | ||||||
| Social | ||||||
| Governance | ||||||
46. This question is not applicable to you due to your response to Q39 regarding who engages with companies. To what extent do you set ESG engagement objectives and attempt to evaluate your engagement success?
| No Answer | |||||
| 47. This question is not applicable to you due to your response to Q39 regarding who engages with companies. What percentage of engagements that ended in 2008 were deemed successful (in percent)?(Engagement success: a considerable part of objectives or milestones that were set when the engagement commenced were achieved.) | No Answer | |||||
48. This question is not applicable to you due to your response to Q39 regarding who engages with companies. To what extent do you have a process for assessing and improving staff competency to act as active owners and incorporate ESG issues into ownership practices?
| No Answer | |||||
| Engagement - external engagement service provider(s) | ||||||
49. How many portfolio companies did your external engagement service provider(s) engage with on ESG issues on your behalf in 2008?
| ||||||
| Extensive engagement | 15 | |||||
| Moderate engagement | 93 | |||||
| Basic engagement | 256 | |||||
| 50. What proportion of your external engagement service provider(s)'s engagements on your behalf addressed environmental, social or governance issues (in percent)?(One engagement may address more than one issue, so the three percentages need not add to 100%. For example, if you only had one engagement and it addressed environmental and governance issues then the answer would be 100% for environmental and 100% for governance.) | ||||||
| Environmental | 78 | |||||
| Social | 97 | |||||
| Governance | 50 | |||||
51. To what extent do you contribute to and assess the ESG engagement activities of your external engagement service provider(s)?
| Not applicable | |||||
| Engagement - external investment manager(s) | ||||||
52. How many portfolio companies did your external investment manager(s)'s engage with on ESG issues on your behalf in 2008?
| ||||||
| Extensive engagement | 0 | |||||
| Moderate engagement | 0 | |||||
| Basic engagement | 0 | |||||
| 53. What proportion of your external investment manager(s)'s engagements on your behalf addressed environmental, social or governance issues (in percent)? (One engagement may address more than one issue, so the three percentages need not add to 100%. For example, if you only had one engagement and it addressed environmental and governance issues then the answer would be 100% for environmental and 100% for governance.) | ||||||
| Environmental | 0 | |||||
| Social | 0 | |||||
| Governance | 0 | |||||
54. To what extent do you contribute to and assess the ESG engagement activities of your external investment manager(s)?
| Not applicable | |||||
| 55. Did you consider the capabilities of external investment managers to engage with companies on ESG issues on your behalf when searching for, selecting and retaining your investment managers? | Not applicable | |||||
| Engagement - final comments | ||||||
| 56. What ESG issues were addressed in your or your service providers' engagement initiatives? (Please check all that apply.) | Bribery/corruption,Climate change,Environment,Governance,Health and safety,Human rights,Labour issues | |||||
| 57. What measures do you or your external service provider(s) use to assess the impact and success of engagement? | Our RI partners (Storebrand and Folksam) engage with excluded companies every six months to monitor any changes and to track/assess improvements. | |||||
| 58. Please add any overall comments and clarifications related to Principle 2 here. Please also describe any significant activities relating to Principle 2 that have not been captured by the questions above. | Internally we are not able to engage ourselves as active owners given that Harcourt never invests directly in companies but solely indirectly to companies via our direct investments in hedge funds. Externally, however, through our RI initiative with Bealir we are active owners via our RI partners Storebrand and Folksam. Answers pertaining to what we do externally pertains to the work done by Folksam and Storebrand where Harcourt has indirect influence in our collaboration with them to running the Belair RI initiative. To adjust to the template formate, we adjusted our exposure to equities to be able to answer this section. | |||||
| Principle 3 | ||||||
| Principle 3: We will seek appropriate disclosure on ESG issues by the entities in which we invest. | ||||||
| 59. Please provide a one to two paragraph description of your approach to this Principle. | We closely monitor the effects that our incorporation of RI have on the hedge funds we get to incorporate RI and ESG issues in their hedge fund strategy. The hedge funds are provided a tradable universe of SRI compliant instruments and we keep track that the hedge funds remain in compliance to this list of instruments in their position taking. As such we have ensured that we have full disclosure on the ESG issues and that they are indeed adhered to by our underlying hedge funds. Through our RI work done jointly with Storebrand and Folksam, they in turn seek similar disclosure vis-à-vis companies that are part of our approved universe of instruments. | |||||
| 60. Who asked investee companies (or other investment entities) to provide information about their ESG policies, practices or performance in 2008?(Please check all that apply.) | Internal staff,Internal staff collaboratively with other investors,External engagement service provider(s) | |||||
61. To what extent did you or your external engagement service provider(s) or your external investment manager(s) have a dialogue with investee companies (or other investment entities) regarding the production of standardized reporting about their ESG policies, practices or performance in 2008?('Standardized' could also include systematic reporting in areas where standardized reporting has not yet emerged.)
| ||||||
| Hedge funds | To a large extent | |||||
| 62. What formats of reporting on ESG issue policies, practices or performance have been requested? Please check all that apply. | Global Reporting Initiative (GRI),Carbon Disclosure Project (CDP) | |||||
63. To what extent did you or your external engagement service provider(s) or your external investment manager(s) seek information from companies regarding their practices related to norms, standards, codes of conduct or international initiatives related to ESG issues in 2008?
| To a moderate extent | |||||
| 64. Please add any overall comments and clarifications related to Principle 3 here. Please also describe any significant activities relating to Principle 3 that have not been captured by the questions above. | Since we provide our underlying hedge funds with tradable universe of instruments for which ESG issues have been assessed and deemed appropriate from an RI perspective, the disclosure of ESG of the entities we invest in pertains to the adherence by the hedge funds to our approved list of instruments. On company level, ESG issues are assessed by our RI partners (Folksam and Storebrand) where their work in relation to this is critical as it defines the approved universe we at Harcourt make the hedge funds to adhere to. | |||||
| Principle 4 | ||||||
| Principle 4: We will promote acceptance and implementation of the Principles within the investment industry. | ||||||
| 65. Please provide a one to two paragraph description of your approach to this Principle. | We put much effort to increase the understanding, acceptance and embracement of RI and ESG issues in the hedge fund industry in particular. We cater an institutional investor client base worldwide and RI is emphasized in all forms of our client communication, such as including articles on RI in our industry magazine SwissHedge, discussing RI at our regular educational seminars on hedge funds, and of course also through our RI compliant fund of hedge funds Belair. We have also received strong interest from our competitors who have seen the strong performance of our RI initiative since inception, which we welcome, since it will further facilitate and support us in our efforts to get high quality hedge funds to embrace RI and thereby allowing us to invest with them | |||||
| 66. Did you consider RI/ESG requirements when searching for and selecting service providers in 2008 when applicable? | ||||||
| Investment consultant | Not applicable | |||||
| Proxy voting service provider | Not applicable | |||||
| External overlay service provider | Yes, all of the time | |||||
| Investment research provider | Not applicable | |||||
| 67. Have you included RI/ESG elements in the following? | ||||||
| Investment monitoring | Yes, all of the time | |||||
| Incentive structure (internally managed) | Not applicable | |||||
| Incentive structure (externally managed) | Not applicable | |||||
| Contractual relationships with external investment managers | Yes, all of the time | |||||
| Contractual relationships with other investment related service providers | Yes, all of the time | |||||
68. To what extent did you encourage your eligible service providers to become PRI signatories or consider RI/ESG factors in 2008?(Service providers include but are not limited to: external investment managers, investment consultants, proxy voting service providers, external engagement service providers, and investment research providers.)
| To a small extent | |||||
69. To what extent did you encourage your institutional clients to become PRI signatories or consider RI/ESG factors in 2008?
| To a small extent | |||||
70. To what extent did you encourage peer organisations to become PRI signatories or consider RI/ESG factors in 2008?
| To a small extent | |||||
| 71. Have you revisited any relationships with service providers in light of RI/ESG issue-related capabilities? | No | |||||
| 72. Does your broker evaluation process (which determines how you allocate commissions to brokers) include an ESG component and/or do you have a budget to pay for ESG broker research? | Not applicable | |||||
| 73A. What is your total investment research budget (including brokerage commissions intended to recognize research, in the same currency used in Q1) | 450000 | |||||
| 73B. what proportion of your total investment research budget is allocated to ESG research (in percent)? | 9 | |||||
74. To what extent do you identify ESG issues and suggest them to brokers or other investment research providers for research?
| To a small extent | |||||
75. To what extent did you engage in dialogue, lobbying or initiatives pertaining to government policy and/or industry regulations (for example, stock exchanges or accounting standards) related to RI/ESG issues in 2008?
| To a small extent | |||||
| 76. Please add any overall comments and clarifications related to Principle 4 here. Please also describe any significant activities relating to Principle 4 that have not been captured by the questions above. | Being pioneers in RI in our industry we have many peers looking at us; other fund of hedge fund competitors, our institutional investor clients and prospective clients, single hedge fund managers and RI related peers. We think that our work is most often well received by those peers and does fuel the interest from those peers to look further on RI and ESG issues. Ongoing, we will continue to focus on spreading the knowledge on RI in hedge fund context. | |||||
| Principle 5 | ||||||
| Principle 5: We will work together to enhance our effectiveness in implementing the Principles. | ||||||
| 77. Please provide a one to two paragraph description of your approach to this Principle. | Harcourt's RI initiative is a unique collaboration between ourselves as experts in the hedge fund arena and Storebrand and Folksam which are Asset owner experts in the RI arena. As such the work we do jointly is a practical example of implementing Principle 5. We think that this is vital for the future developments of RI in the hedge fund industry, thus Harcourt remains strong supporter of Principle 5 as it will facilitate further the acceptance of RI among hedge funds in the future. | |||||
78. To what extent did you collaborate with other investors to improve your effectiveness in implementing each of the following Principles?
| ||||||
| Principle 1 | To a large extent | |||||
| Principle 2 | To a small extent | |||||
| Principle 3 | To a large extent | |||||
| Principle 4 | To a large extent | |||||
| 79. How did you use the PRI Engagement Clearinghouse in 2008?(Please check all that apply.) | Logged in during 2008 to use the Clearinghouse as a learning tool or to keep up to date on ongoing engagements | |||||
| 80. Did you participate in any of the following RI/ESG issue-related collaborations and/or associations? For those not listed, please use the "other" field:(Please check all that apply.) | Regional social investment organisation (for example SIF or UKSIF),Other (please specify): 'Harcourt organizes annual educational hedge fund seminars. In Oct 2008 we devoted 1 day to SRI and had guest speaker from UN PRI (James Gifford), Storebrand & Bank Sarasin.',Other (please specify): 'Harcourt has a quarterly publication called SwissHEDGE. Q3 2007 issue was devoted to SRI, with guest authors from UKSIF, Storebrand, Folksam, ABP.',Other (please specify): 'We participated as speakers on Citigroup's SRI webinar Dec 1 2008',Other (please specify): 'We participated as speakers on TBLI Paris Nov 2007' | |||||
81. Please indicate the three RI/ESG issue-related collaborative engagement initiatives and/or industry associations that you participated in most extensively and indicate how you did so:
| ||||||
| PRI | To a moderate extent | First hedge fund firm to sign UN PRI. UN PRI personell have supported us as guest speakers and producing articles. | ||||
| Regional social investment organisation (for example SIF or UKSIF) | To a small extent | Cooperated with UKSIF and Eurosif in terms of promoting RI to hedge funds. | ||||
| 1st Other specify from Q80 | To a large extent | Devoted RI to our annual educational seminar on hedge funds | ||||
| 82. Please add any overall comments and clarifications related to Principle 5 here. Please also describe any significant activities relating to Principle 5 that have not been captured by the questions above. | We will further intensify our work related to Principle 5 as we are convinced that dialogue between RI investors will improve the prerequisites to find common ground of RI, which in turn will further enable the hedge fund industry to adapt and create investment vehicles that cater these needs. | |||||
| Principle 6 | ||||||
| Principle 6: We will each report on our activities and progress towards implementing the Principles. | ||||||
| 83. Please provide a one to two paragraph description of your approach to this Principle. | This questionnaire is a token of Principle 6 which we will make publicly available. | |||||
84. To what extent did you disclose (privately and/or publicly) your approach to incorporating ESG issues into investment analysis and decision-making processes in 2008?(If you disclose publicly, please indicate how this disclosure can be obtained - a URL would be sufficient. If answering not at all, please explain why not.)
| To a moderate extent: '' | |||||
| 85. How did you disclose your (proxy) voting record in 2008?(Please select all that apply. If you disclose publicly, please indicate how this disclosure can be obtained - a URL would be sufficient. If answering not at all, please explain why not.) | No Answer | |||||
86. To what extent did you disclose (privately and/or publicly) your RI/ESG issue-related engagement activities, results and progress in 2008?(If you disclose publicly, please indicate how this disclosure can be obtained - a URL would be sufficient. If answering not at all, please explain why not.)
| To a small extent: '' | |||||
| 87. Did you disclose (privately and/or publicly) RI/ESG activities, results and progress related to Principle 3, Principle 4 or Principle 5 in 2008?(If you disclose publicly, please indicate how this disclosure can be obtained - a URL would be sufficient. If answering not at all, please explain why not.) | ||||||
| Principle 3 | Yes - to clients or beneficiaries | |||||
| Principle 4 | Yes - to clients or beneficiaries | |||||
| Principle 5 | Yes - to clients or beneficiaries | |||||
| 88. How would you like to publish your responses to this PRI Reporting and Assessment tool?(Please check all that apply.) | Please automatically publish our responses to the reporting and assessment tool in full on the PRI website | |||||
| 89. Please add any overall comments and clarifications related to Principle 6 here. Please also describe any significant activities relating to Principle 6 that have not been captured by the questions above. | We have come relatively far in our RI initiative and we remain committed to increase our efforts further. We take pleasure in the high level of interest from the peers in our hedge fund industry in particular and hope that this will lead to an ever increasing awareness of RI in our industry. | |||||
| Closing Comments | ||||||
| 90. Please describe the benefits you have enjoyed as a result of signing the PRI: | PRI is for us an important tool to emphasize the importance and broadening acceptance of RI among Asset Owners and investment managers globally. This helps us to convince hedge funds to embrace RI into their investment strategies and increases the options for high quality hedge funds for us to invest in. | |||||
| 91. What has your organisation changed as a direct result of becoming a PRI signatory? | Being the first signatory from the hedge fund industry of PRI, we have taking many measures both internally and externally to embrace RI. Having signed PRI, RI is discussed with the hedge funds we meet, how the hedge fund in question could incorporate RI in their investment strategy. As such our research process in evaluating hedge funds have indeed been modified to fit the interests of RI. | |||||
| 92. Did the financial market turmoil of 2008 cause you to change your approach to the consideration of ESG factors or active ownership? If it did, please explain how. | Yes it did. The hedge fund industry was challenged in 2008 due to lacklustre performance of hedge funds in absolute return context even though hedge funds grossly outperformed traditional investments. The hedge fund industry did however face redemptions and previously closed hedge funds suddenly reopened, which in turn enabled us to pick up renewed discussions with some of these hedge funds in regards to incorporation of RI. | |||||
| 93. What are the top three activities the PRI Secretariat could undertake to enhance and encourage further implementation of the PRI by current and prospective signatories? | ||||||
| 1. | Further promote awareness of RI; consider more than one PRI in Person event per annum, possibly by region. | |||||
| 2. | Further promote awareness by actively engage in media / publications / academia | |||||
| 3. | Further consider how the reporting to UN PRI can become more publicly distributed for many more to read and get access to. | |||||
| 94. What are your top three PRI-related goals/priorities for 2009? | ||||||
| 1. | Further increase awareness of PRI and RI in the hedge fund industry. | |||||
| 2. | Further develop our RI concept by getting more hedge funds to embrace RI and ESG issues in their investment strategy. | |||||
| 3. | Further explore ways for the hedge fund industry to incorporate Principle 2 as active owners. | |||||
| 95. What were your most significant achievements in 2008 in relation to your implementation of Principles? | ||||||
| Principle 1: We will incorporate ESG issues into investment analysis and decision-making processes. | We have found common ground with hedge funds in terms of incorporating RI in their investment strategies. | |||||
| Principle 2: We will be active owners and incorporate ESG issues into our ownership policies and practices. | Not applicable for Harcourt in 2008. | |||||
| Principle 3: We will seek appropriate disclosure on ESG issues by the entities in which we invest. | We are pleased that in 2008, all of our underlying hedge funds in Belair have remained compliant to our RI Policy and we have found common interests with the hedge funds to enable us to verify that. | |||||
| Principle 4: We will promote acceptance and implementation of the Principles within the investment industry. | We have together with our underlying hedge funds been able to find ways for the hedge funds to incorporate RI in their investment strategies in a structured and efficient way. | |||||
| Principle 5: We will work together to enhance our effectiveness in implementing the Principles. | Belair is a collaboration between ourselves as hedge fund experts and two large RI Asset Owners (Folksam and Storebrand). | |||||
| Principle 6: We will each report on our activities and progress towards implementing the Principles. | ||||||
| 96. What were your biggest barriers in 2008 with relation to your implementation of the Principles? | ||||||
| Principle 1: We will incorporate ESG issues into investment analysis and decision-making processes. | ||||||
| Principle 2: We will be active owners and incorporate ESG issues into our ownership policies and practices. | As we at Harcourt solely invest through underlying hedge funds we are constrained in the ability to be active owners on company level directly. We continuously seek to develop our RI work further. | |||||
| Principle 3: We will seek appropriate disclosure on ESG issues by the entities in which we invest. | ||||||
| Principle 4: We will promote acceptance and implementation of the Principles within the investment industry. | The major barrier here is the lack of uniform definitions of RI. Once we get more Asset Owners to agree on principles, it will be easier for us as well as the hedge fund industry to cater these needs. | |||||
| Principle 5: We will work together to enhance our effectiveness in implementing the Principles. | See answer for Principle 4 above. | |||||
| Principle 6: We will each report on our activities and progress towards implementing the Principles. | For us this is also a good tool to see in which areas we can improve further. | |||||
| 97. Please indicate which principle you find the most difficult to implement and the principle you find the least difficult to implement: | ||||||
| Most difficult | Principle 2 | |||||
| Least difficult | Principle 6 | |||||