Author Archives: Maddy Dwyer

Climate Action Plan Progress Report 2023

Paradice Climate Action Plan Progress Report 2023

After having published our inaugural Climate Action Plan (CAP) in late 2022, we have prepared a progress report on the first full year of implementation of our multi-year plan.

Following the structure of our CAP, across the three pillars of Governance, Investments and Stewardship & Advocacy, we provide an update on the status of activities intended for completion or commencement in CY2023. We also share some highlights from our climate-related stewardship efforts.

Read the Report here

Disclaimer:

This material (or any contribution to it) is not intended to constitute advertising or advice (including legal, tax or investment advice or security recommendation) of any kind.  It is of a general nature only and was current only at the time of initial publication. The information and opinions contained herein are not necessarily all-inclusive and, as such, no representation or warranty, express or implied, is made as to the accuracy, completeness or reasonableness of any assumption contained herein and no responsibility arising for errors and omissions (including responsibility to any person by reason of negligence) is accepted by Paradice, its officers, employees or agents.  It may contain certain forward looking statements, opinions and projections that are based on the assumptions and judgments of Paradice with respect to, among other things, future economic, competitive and market conditions and future business decisions, all of which are difficult or impossible to predict accurately and many of which are beyond the control of Paradice. Because of the significant uncertainties inherent in these assumptions, opinions and judgments, you should not place undue reliance on these forward looking statements. You should consider your own needs and objectives and consult with a licensed financial adviser. For the avoidance of doubt, any such forward looking statements, opinions, assumptions and/or judgments made by Paradice may not prove to be accurate or correct.  References to securities may or may not represent the holdings of the Paradice Funds.  The content of this publication is current as at the date of its publication and is subject to change at any time. It does not reflect any events or changes in circumstances occurring after the date of publication.

Paradice publishes summary stewardship report for 2023

Paradice publishes stewardship summary report for 2023

We’re pleased to publish our second report summarising the Australian equities teams’ stewardship-related activity undertaken in 2023. This includes ESG-related engagement with investee companies, how we exercised our voting rights, and highlights from our advocacy and collaborative efforts.

Collectively in 2023, the Australian equities teams held 167 ESG-related engagements with 71 companies. Transition risks relating to climate change dominated engagement during the year, with a total of 109 engagements on this topic. The next most common topic was environmental management, with 48 engagements. The report not only provides key statistics but offers some insights into how we engage at both a company level and through topic-specific programs through case study examples.

We also lay out some key statistics around this year’s voting activity, and highlight some actions taken with respect to advocacy and our participation in collaborative investor initiatives. 

Read the Paradice Annual Stewardship Summary here

Disclaimer:

This material is prepared by Paradice Investment Management Pty Ltd (ABN 64 090 148 619, AFSL No. 224158) (“Paradice”, “we” or “us”).

This material is not intended to constitute advertising or advice (including investment advice or security, market or sector recommendations) of any kind.

This material is not to be copied, reproduced or published at any time without the prior written consent of Paradice.

The information herein is intended to provide an indication of the engagement activity undertaken by the investment teams responsible for managing Australian equities. The material presented contains information derived from the various portfolios managed by Paradice, including, but not limited to, Paradice Australian Equities Fund (ARSN 617 679 071), Paradice Australian Mid Cap Fund (ARSN 620 055 138), Paradice Australian Small Cap Fund (ARSN 620 056 091), Paradice Equity Alpha Plus Fund (ARSN 631 044 678), and Paradice Australian Small Cap Opportunities Fund (ARSN 667 664 137) (together “the Paradice Funds”).  

Equity Trustees Limited (“Equity Trustees”) (ABN 46 004 031 298), AFSL 240975, is the Responsible Entity for the Paradice Funds.  Equity Trustees is a subsidiary of EQT Holdings Limited (ABN 22 607 797 615), a publicly listed company on the Australian Securities Exchange (ASX: EQT).

The information and opinions contained herein, including information obtained from third party sources which are considered to be reliable, are not necessarily all-inclusive and, as such, no representation or warranty, express or implied, is made as to the accuracy, completeness or reasonableness of any assumption contained herein and no responsibility arising for errors and omissions (including responsibility to any person by reason of negligence) is accepted by Paradice, its officers, employees or agents.

Any specific securities identified herein are not representative of all securities purchased, sold, or recommended by Paradice.

In addition, the information, analysis, and opinions expressed herein are for general and educational purposes only.

In preparing this material we did not take into account the investment objectives, financial situation or particular needs of any particular person. It is not intended to take the place of professional advice and you should not take action on specific issues in reliance on this information. Neither Paradice, Equity Trustees nor any of its related parties, their employees or directors, provide and warranty of accuracy or reliability in relation to such information or accepts any liability to any person who relies on it. Past performance should not be taken as an indicator of future performance. You should obtain a copy of the Product Disclosure Statement for any relevant Paradice Fund before making a decision about whether to invest in the product.

The Target Market Determinations for the Paradice Funds are available here: https://paradice.com/au/investor-centre/. A Target Market Determination is a document which is required to be made available from 5 October 2021. It describes who this financial product is likely to be appropriate for (i.e. the target market), and any conditions around how the product can be distributed to investors. It also describes the events or circumstances where the Target Market Determination for this financial product may need to be reviewed.

ESG considerations may vary across investments, and not every ESG factor may be identified or evaluated for every investment. There is no guarantee that the evaluation of ESG characteristics will be additive to a strategy’s performance. ESG is not a uniformly-defined characteristic and information used to evaluate ESG characteristics may not be readily available, complete, or accurate, and may vary across providers and issuers. Because of the subjective nature of ESG assessment, there can be no guarantee that ESG factors considered will reflect the beliefs or values of any particular client / investor.

The services described may not be suitable for or offered to all investors and investors should consult with an investment advisor to determine the appropriate investment strategy. All investments carry a certain risk, and there is no assurance that an investment, strategy, or approach will provide positive performance over any period of time. There is no guarantee that an investment in any strategy offered has or will be profitable. Strategies are actively managed and subject to change. Additional important risk disclosures can be found here for Paradice https://www.paradice.com/au/terms-conditions/

Any forecasts or estimates contained in this publication are not guaranteed. It is of a general nature only and was current only at the time of initial publication.

Paradice publishes inaugural stewardship report

Paradice publishes inaugural stewardship report

We’re pleased to publish our first report summarising the Australian Equities teams’ stewardship-related activity undertaken in 2022. This includes ESG-related engagement with investee companies, how we exercised our voting rights, and highlights from our advocacy and collaborative efforts.

After enhancing the way we structure and track engagements related to ESG issues, 2022 was the first full year of implementation. These changes enabled improved collection of data around the number of meetings, seniority of attendees, and granularity on the topics discussed.

Collectively in 2022, the Australian Equities teams held 137 ESG-related engagements with 65 companies. Transition risks relating to climate change dominated engagement during the year, with a total of 88 engagements on this topic. The next most common topic was human capital management, with 39 engagements. The report not only provides key statistics but offers some insights into how we engage at both a company level and through topic-specific programs through case study examples.

We also lay out some key statistics around this year’s voting activity, and highlight some actions taken with respect to advocacy and our participation in collaborative investor initiatives. For example, we support group engagement with four companies as a participant in Climate Action 100+.

Read the Paradice Annual Stewardship Summary here

Disclaimer:

This material (or any contribution to it) is not intended to constitute advertising or advice (including legal, tax or investment advice or security recommendation) of any kind.  It is of a general nature only and was current only at the time of initial publication. The information and opinions contained herein are not necessarily all-inclusive and, as such, no representation or warranty, express or implied, is made as to the accuracy, completeness or reasonableness of any assumption contained herein and no responsibility arising for errors and omissions (including responsibility to any person by reason of negligence) is accepted by Paradice, its officers, employees or agents.  It may contain certain forward looking statements, opinions and projections that are based on the assumptions and judgments of Paradice with respect to, among other things, future economic, competitive and market conditions and future business decisions, all of which are difficult or impossible to predict accurately and many of which are beyond the control of Paradice. Because of the significant uncertainties inherent in these assumptions, opinions and judgments, you should not place undue reliance on these forward looking statements. You should consider your own needs and objectives and consult with a licensed financial adviser. For the avoidance of doubt, any such forward looking statements, opinions, assumptions and/or judgments made by Paradice may not prove to be accurate or correct.  References to securities may or may not represent the holdings of the Paradice Funds.  The content of this publication is current as at the date of its publication and is subject to change at any time. It does not reflect any events or changes in circumstances occurring after the date of publication.

Understanding the human side of cyber resilience to mitigate risk

Understanding the human side of cyber resilience to mitigate risk

With cyberattacks and data breaches dominating news headlines since high profile incidents have impacted the likes of Optus and Medibank Private, investors are scrutinising the cyber practices of listed companies. Many are asking questions such as whether IT systems are up to scratch, what kind of sensitive data is held, and how capable are board directors in overseeing this rapidly evolving risk.

These are all valid questions to ask of companies. However there are a number of human capital and social related elements of cyber resilience which warrant greater consideration by companies and investors alike. One thing we know when it comes to cyber security is that the best IT systems and processes are still not enough to stop a cyberattack or data breach. We also know that protection is only part of the story when it comes to resilience – the way a company responds to an incident is just as important.

Human elements are integral to a company’s overall cyber resilience and its ability to limit potential financial impacts from an event – in particular, company actions which shape employees’ behaviour before and after an incident, as well as having a response plan informed by a customer-first mindset.

Company and investor approaches to cyber resilience should look beyond specific cyber capabilities and IT systems, and extend to human capital and customer management practices. In this piece, we outline five factors which we believe play an under-appreciated role. Companies can mitigate risk by seeking to address these, while investors can better protect returns by including these in their cyber resilience assessments.

Pre-empting human error

It is important to not lose sight of how influential human error is enabling cyberattacks or data breaches. In its 2022 Global Risks Report, the World Economic Forum cited studies which found that up to 95% of cybersecurity issues can be traced back to mistakes made by people. Mistakes often relate to employees falling victim to phishing campaigns or other social engineering practices deployed by attackers, but can also include failure to properly secure credentials or equipment, mistakenly emailing or publishing information, as well as staff not realising they should not install certain applications on personal devices.

This reinforces the need for companies to carefully consider how to most effectively allocate capital and resources to cyber and data security. While investment in adequate IT systems is essential, this should be complemented by employee-focused initiatives targeted at reducing the likelihood of human error. This includes allocating resources to training and awareness building, as well as efforts to develop a cyber-aware culture amongst the workforce.

More effective training and awareness programs are regular; tailored as relevant to different business divisions, noting some teams will need deeper or more technical training; and as engaging as possible. Education on the proper collection and storage of personal data in the context of privacy laws will be expected for many businesses.

With respect to developing a cyber-aware workplace, leadership teams should be conscious of how they can set the tone from the top, recognising that this can shape employee behaviour.  While staff should be expected to adhere to cyber policies and procedures, it is inevitable honest mistakes will occur. Leadership teams that demonstrate an acknowledgement that anyone can make a mistake could help avoid an individual delaying action in the event of a breach due to a fear of punishment. It is ultimately in a company’s interest for employees to feel comfortable enough to admit a mistake as soon as possible and alert necessary parties.

Fostering an inclusive company culture

Human capital management strategies targeted at fostering a more inclusive company culture, which are often already in place at listed companies for other reasons such as employee engagement and retention, are also relevant to maintaining robust cyber and data controls. This should further strengthen the business case for such initiatives at companies looking to boost cyber resilience.

Inclusion is linked to more engaged employees. In our experience, staff which are engaged and find their respective employers a great place to work are going to be more motivated to act in the company’s best interests. This includes being more attentive to training and awareness and more inclined to act with greater care on cyber and data matters, in order to reduce potential harms to the business.

Cyber resilience is also enhanced by employees who speak up – whether this is to raise a concern about a weakness in cyber or data protections, or to come forward with new ideas about improving a process. Inclusion is an important driver of the settings in which staff feel confident in coming forward.

Incentivising the right behaviours

While it can be a tricky path to navigate, disincentivising poor cyber-related behaviour and rewarding good practices has an impact on a company’s overall resilience. As mentioned above, with so many breaches being tied back to actions taken by individuals, proactively seeking to shape staff performance in this area is important and incentives provide a means to do so.

Incentives do not necessarily need to be as formal as Key Performance Indicators (KPIs) for executives, although in some cases this will be appropriate. Good “cyber hygiene” and practices can be rewarded in other ways, such as positive acknowledgement in staff communications or prizes.

At times, it will be appropriate to hold individuals to account through disciplinary action in instances where they have breached cyber security policies and put the company at risk through negligent behaviour. Finding a balanced way to communicate internally that accountability does exist for non-compliance (while accepting honest mistakes occur) can drive staff to take cyber seriously and maintain familiarity with policies and procedures.

Unlocking agile collaboration

In the event of a cyberattack or significant data breach, the response and recovery can significantly influence the operational disruption and potential financial impacts a company faces. In the wake of Optus and Medibank, many companies will rightly be looking to develop or strengthen their response plan. Some may even be looking to run simulation exercises or undertake tests of their systems.

A large focus of any response and recovery plan should undeniably be on the technical aspects of understanding the extent of a breach, securing and recovering systems, and strengthening IT security, as well as complying with any regulatory requirements. However, we believe companies should also be factoring into plans how they will unlock agile collaboration across relevant business units in crisis settings. This kind of mobilisation of people and internal expertise at short notice requires pre-planning and practice.

Companies will need to consider how the incident or breach intersects with each and every team or business unit and consider developing a cross-function response team with relevant representatives. From past incidents, we’ve learned that impacted companies have had the effectiveness of their response and recovery reduced  due to internal siloes remaining, and individual roles and responsibilities being unclear. In a time of crisis, problem solving and execution can be strengthened by collaboration, such as between IT and cyber security, senior leadership, customer-facing teams, and the key contact personnel for regulators and media. If in the course of ordinary business forums to bring these functions together don’t exist, it is unlikely rapid mobilisation and an agile cross-business response will be able to occur without dedicated preparation as part of cyber resilience planning.

It is worth reiterating that each cyberattack or data breach will play out differently, whether this is in how the event occurs in the first place or the environment in which the company must respond and recover. Information will be fluid, stakeholder reactions will be varied, and the cyber criminals may have different motivations, making it challenging to pre-empt. This all reinforces the need for companies – in order to support an orderly response and to mitigate reputational damage – to proactively create the settings in which agile collaboration can occur, and that all relevant personnel are included and have clear responsibilities.

Proactively developing a customer-centric communications and remediation plan

A communications and remediation plan will support stakeholder management and mitigate reputational damage which have the potential to translate into financial impacts. High profile cyberattacks on corporates have demonstrated that in many ways a poor communications plan can cause more harm than the operational disruption or initial reputational damage from the event itself.

In our view, a superior communications and remediation plan is one that puts customers first, subject to any legal requirements or advice from relevant authorities. In these situations there is strong alignment between the interests of a company’s customers and its investors. If the company puts customers at the heart of any communications and remediation plan, shareholder value will be better protected.

Proactive planning can help companies to most effectively keep customers informed of developments in the wake of an incident, at a time when there is heightened customer stress and media scrutiny. Companies should consider how they can stay on top of direct communications with customers and have internal plans to brief customer-facing teams in a timely manner. The more customers feel they have insufficient information or that they hear new information through the media, the more this may place stress on customer service teams dealing with a surge in inbound calls. Long wait times to connect to call centres or service representatives being unsure of reported developments and support available will only further exacerbate negative experiences for customers.

Messaging and services offered to customers should also be cognisant that for many, any breach of personal information could cause significant stress and in some cases compromise safety. While some people are not concerned about generic personally identifiable information being leaked, for others even information such as an address – let alone medical history or passport details – can be highly sensitive, for example domestic violence survivors or police. For this reason, communications should acknowledge customers as the victim and be informed by the varied potential reactions and impacts across the customer base.

Companies would also be well served by putting in place a framework outlining what kinds of support or compensation might be available  in the event of an incident. Not only should this assist in managing customer relations, but it could also mitigate potential class action risks. Examples of financial compensation we have seen to date include reimbursing the cost of ID replacement, waiving service charges for a period, and paying for credit monitoring subscriptions. Other forms of support include provision of counselling, cyber security resources, personal duress alarms for particularly vulnerable customers, and dedicated customer apps and hotlines.

Conclusion

People (employees and customers) are integral in shaping a company’s overall cyber resilience and its ability to limit potential financial impacts from an event through a well-managed response. While it is essential that companies (and their investors) reflect whether IT systems, policies and procedures, and cyber capabilities are adequate, we encourage greater consideration of how these aspects of cyber resilience intersect with human capital and social related factors.

In our own assessments of investee companies’ cyber resilience, Paradice is working to more deeply understand this rapidly evolving space and take a holistic approach in determining the appropriateness of company controls. This includes looking at the five factors mentioned above and encouraging due consideration of such practices when engaging with companies on cyber resilience.

 

By Maddy Dwyer & Julia Weng

Disclaimer:

This information is prepared by Paradice Investment Management Pty Ltd (ABN 64 090 148 619, AFSL No. 224158). This material (or contribution to it) is not intended to constitute advertising or advice (including legal, tax or investment advice or security recommendation) of any kind. It may contain certain opinions that are based on the assumptions and judgments of Paradice which are difficult or impossible to predict accurately and are beyond the control of Paradice. Because of the significant uncertainties inherent in these assumptions, opinions and judgments, you should not place undue reliance on this information. The information and opinions contained herein, including information obtained from third party sources which are considered to be reliable, are not necessarily all-inclusive and, as such, no representation or warranty, express or implied, is made as to the accuracy, completeness or reasonableness of any assumption contained herein and no responsibility arising for errors and omissions (including responsibility to any person by reason of negligence) is accepted by Paradice, its officers, employees or agents. The content of this publication is current as at the date of its publication and is subject to change at any time. It does not reflect any events or changes in circumstances occurring after the date of publication. This material is not to be distributed and must not be copied, reproduced, published, disclosed or passed to any other person at any time without the prior written consent of Paradice.

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