Press CTRL+P (Windows) or ⌘+P (Mac) to print/export to a PDF file

2023

Real Estate

Assessment

Contents

Disclaimer: 2023 GRESB Real Estate Assessment

The 2023 GRESB Real Estate Assessment Document accompanies the 2022 GRESB Real Estate Assessment and is published both as a standalone document and in the GRESB Portal alongside each Assessment indicator. The Assessment Document reflects the opinions of GRESB and not of our members. The information in the Assessment Document has been provided in good faith and on an “as is” basis. We take reasonable care to check the accuracy and completeness of the Assessment Document prior to its publication. While we do not anticipate major changes, we reserve the right to make modifications to the Assessment Document. We will publicly announce any such modifications.

The Assessment Document is not provided as the basis for any professional advice or for transactional use. GRESB and its advisors, consultants and sub-contractors shall not be responsible or liable for any advice given to third parties, any investment decisions or trading or any other actions taken by you or by third parties based on information contained in the Assessment Document.

Except where stated otherwise, GRESB is the exclusive owner of all intellectual property rights in all the information contained in the Assessment Document.

Introduction

About GRESB

Mission-driven and investor-led, GRESB is the environmental, social and governance (ESG) benchmark for real assets. We work in collaboration with the industry to provide standardized and validated ESG data to the capital markets. The 2022 real estate benchmark covers more than 1,800 property companies, real estate investment trusts (REITs), funds, and developers. Our coverage for infrastructure includes over 800 infrastructure funds and assets. Combined, GRESB represents USD 8.6 trillion in real asset value. More than 170 institutional investors, with over USD 51 trillion AUM, use GRESB data to monitor their investments, engage with their managers, and make decisions that lead to a more sustainable real asset industry.

For more information, visit gresb.com. Follow GRESB on LinkedIn or @GRESB on Twitter.

Overview of GRESB Real Estate Assessment

GRESB Real Estate Assessment

The GRESB Real Estate Assessment is the global standard for ESG benchmarking and reporting for listed property companies, private property funds, developers and investors that invest directly in real estate. The Assessment evaluates performance against three ESG Components - Management, Performance, and Development. The methodology is consistent across different regions, investment vehicles and property types and aligns with international reporting frameworks, such as TCFD, GRI and PRI.

The GRESB Real Estate Assessment provides investors with actionable information and tools to monitor and manage the ESG risks and opportunities of their investments, and to prepare for increasingly rigorous ESG obligations. Assessment participants receive comparative business intelligence on where they stand against their peers, a roadmap with the actions they can take to improve their ESG performance and a communication platform to engage with investors.

Supplement: Nareit Leader in the Light

GRESB works in close collaboration with the National Association of Real Estate Investments Trusts (Nareit), a GRESB Industry Partner. NAREIT encourages its corporate members to complete the annual GRESB Real Estate Assessments, which, for the past seven years, has been the basis for their annual Leader in the Light Award competition. The Leader in the Light Awards are presented to REITs in eight property sectors: Diversified, Global (for non-U.S. companies), Health Care, Industrial, Lodging/Resorts, Office, Residential and Retail. If there are both large and small cap entries that meet the awards criteria in a given property sector, awards are presented to both the leading large and small cap companies. To participate in the Leader in the Light Award program, Nareit members must complete both the GRESB Real Estate Assessment and the Leader in the Light Supplement. Once all sections of the GRESB Real Estate Assessment are completed, including the Leader in the Light Supplement, participants are able to submit their entire submission which will automatically be included in the Leader in the Light Award competition.

GRESB (Real Estate and Infrastructure) Public Disclosure

GRESB Public Disclosure evaluates the level of ESG disclosure by listed property companies and investment vehicles for an entire investable universe. The evaluation is based on a set of indicators aligned with the GRESB Real Estate and Infrastructure Assessments. It provides investors with a resource hub to access ESG disclosure documents across their full listed investment portfolio and make comparisons against an investable universe with full coverage.

GRESB Public Disclosure data is initially collected by the GRESB team for selected companies, including both 2022 GRESB Real Estate and Infrastructure Asset Assessment participants and non‑participants. All data collected must come from publicly available sources, private documents are not accepted.

All constituents have the opportunity to review and update the data collected prior to it becoming accessible to GRESB Listed Investor Members. GRESB Public Disclosure consists of four Aspects: Governance of Sustainability, Implementation, Operational Performance and Stakeholder Engagement. Together, these Aspects contribute towards a Public Disclosure Level, expressed through an A to E sliding scale.

Assessment Structure

The Real Estate Assessment generates two benchmarks: The GRESB Real Estate Benchmark and the GRESB Development Benchmark.

The Real Estate Benchmark consists of participants completing both the Management and Performance Components and the Development Benchmark consists of participants completing both the Management and Development Components.

Real Estate Assessment Components

GRESB does not require participation in any of the Assessment Components. However, if the entity does have both standing investments and development projects and considers itself both an operator of buildings and involved in development activities, it is highly recommended to participate in both benchmarks. As a result, participants will receive two GRESB Scores, two Benchmark Reports, two peer groups, etc. capturing how the entities approach their respective activities in both benchmarks.

The role of the GRESB benchmark

GRESB’s global benchmark uses a consistent methodology to compare performance across different regions, investment vehicles, and property types. This consistency, combined with our broad market coverage, means our members and participants can apply a single, globally recognized ESG framework to all their real estate investments.

GRESB results provide a practical way to understand ESG performance and communicate it to investors and other stakeholders. GRESB provides overall scores of ESG performance - such as the GRESB Score and GRESB Ratings - as well as detailed aspect-level and individual indicator-level assessments of performance. The key to analyzing GRESB data is in peer group comparisons that take into account country, regional, sectoral and investment type variations. This richer analysis enables fund managers and companies to understand their results in the context of their investment strategies and communicate this to their investors.

GRESB is committed to facilitating the use of its ESG metrics in investment decision-making processes and encouraging an active dialogue between investors, fund managers and companies on ESG issues. GRESB updates its Investor Member Guidance on an annual basis to assist GRESB Investor Members in their engagement with managers.

Timeline and Process

The Assessment Portal opens on April 1, 2023. The submission deadline is July 1, 2023 (23:59:59 PST), providing participants with a three-month window to complete the Assessment. This is a fixed deadline, and GRESB will not accept submissions received after this date. GRESB validates and analyzes all participants’ Assessment submissions.

The Review Period will start on September 1, when preliminary individual GRESB results will be made available to all participants and run for the month. During the Review Period, participants will be able to submit a review request to GRESB using a dedicated form. The final results will be launched to both participants and Investor Members on October 2. Public Results events and other results outputs will be rescheduled to October and November in order to accommodate the September Review Period.

For more information about the 2023 Assessment timeline, click here.

Response Check

A Response Check is a high-level check of a participant’s submission. The Response Check is carried out by GRESB’s third party validation provider SRI and features a careful review of your Assessment response followed by a 1-hour discussion call. It can be particularly useful for first time participants.

The Response Check does not exclude the participant from any element of the validation process, nor does it guarantee a better GRESB score. It is intended to ensure that no important details have been overlooked in the submission and provides the opportunity to ask for additional guidance and clarification on the GRESB Assessment indicators. The Response Check helps reduce errors that may adversely impact Assessment results and identifies inconsistent responses and incorrect answer formats.

The Response Check is available for request from April 1 to June 1, 2023 (11:59:59 p.m., PST) subject to resource availability. We strongly encourage participants to place their requests as early as possible. The Response Check can be requested before the Assessment has been completed, but the scope of the review will be limited to the information filled in one week prior to the call.

Guidance & Support

The Assessment Portal includes indicator-specific guidance, available under the “Guidance” tab that explains:

In addition to the guidance in the Portal, each Assessment is accompanied by a Reference Guide. The Reference Guide provides introductory information on the Assessments and a report-format version of the indicator-by-indicator guidance that is available under the Guidance tab in the Portal.

GRESB works with a select group of Partners who can help participants with their Assessment submission. To learn more about the services offered by GRESB Partners, take a look at our Partner Directory.

Participants are able to contact the GRESB Helpdesk at any time for support and guidance.

GRESB Assessment Training Program

GRESB Real Estate Assessment Training is designed to help participants, potential participants and other GRESB stakeholders (managers, consultants, data partners) improve their ESG reporting through the GRESB Real Estate Assessment.

GRESB provides a free online training platform in 2023. The training courses are modular and self-paced, walking participants through the various aspects of the Assessments, and providing detailed examples and tips for a successful submission.

Access to Data

Data is submitted to GRESB through a secure online platform and can only be seen by current GRESB Staff or authorized personnel from GRESB’s third-party validation provider SRI. GRESB benchmark scores are not made public. For listed entities, the entity name is disclosed on the GRESB website. For non-listed entities, the fund manager’s name is disclosed.

Access to Assessment results

Data collected through the GRESB Real Estate Assessment is only disclosed to the participants themselves and:

No other third parties will see the data. GRESB Investor Members must request access to a participant’s Benchmark results and scores, allowing the participant the control to either accept or deny this request.

Access to uploaded evidence

Documentation provided as evidence can be made available to GRESB Real Estate Investor Members on a document by document basis. Each uploaded document has a checkbox (with the default set to ‘not available’) which, when selected by the participant, makes this evidence available to all investors with access to that entity. It is not possible to choose a subset of investors which you would like to share the documents with.

Access to peer group results:

GRESB provides an opt-in option that will disclose the entity’s name (public) or fund manager’s name (private), as well as the scores for the different Components, to participants in the GRESB Universe that also opted to disclose their name and Component scores.

As a default, GRESB does not disclose a participant’s data to other participants. For listed entities, the entity name is disclosed in the Benchmark Report, as well as the entity names of listed peer group constituents. For non-listed entities, only the fund manager’s name is disclosed, as well as the fund manager’s name of private peer group constituents.

Access to asset-level data:

The 2023 Assessment requires participants to report the indicators on Energy, GHG, Water, Waste, Building Certifications, and Efficiency Measures at the asset level. This asset-level data provided to GRESB is strictly confidential and will only be used to check and validate the aggregated portfolio performance data. It will not be passed on to any external party, be it investors or others, in any way that allows the data to be traced back to the asset, without the explicit consent of the participant.

GRESB has developed a number of tools to assist participants with the collection and aggregation of asset-level data that is required to complete certain aspects of the Assessment. Property companies and funds are encouraged to use the asset level tools to streamline data flows, and to increase data quality. The asset-level data provided to GRESB is strictly confidential and will only be used for aggregation to portfolio level. No individual asset level information will be disclosed to participants’ investors.

Asset-level data will be used in an aggregated form, and non-traceable manner, in the following ways:

The main driver for asset level reporting is to improve investor confidence in data quality. In addition, it enables us to provide participants with additional insights into the impact of their ESG programs, the basis for and paves the way for more tailored assessments in the future.

GDPR compliance:

GRESB is fully compliant with GDPR. The GRESB Privacy Statement can be found here. We also have specific internal policies, such as our Data Breach Policy and our Data Protection Policy, related to GDPR that we cannot share externally for security reasons. Please note that asset level data does not fall under the incidence of GDPR because it does not contain any personal data.

Cybersecurity:

GRESB’s data security measures and systems have been reviewed by an external expert and no issues were flagged. The GRESB website and the GRESB Portal are fully HTTPS/TLS encrypted. GRESB has strict and extensive policies on data security that cannot be shared externally for security reasons.

Grace Period

First year participants can submit the Assessment without providing GRESB Investor Members with the ability to request access to their results. This is referred to as a “Grace Period”.

First year participants wishing to report under the Grace Period can select the option on an entity-by-entity basis from the settings section in the Assessment Portal. Participants who select the “Grace Period” option can decide to unselect the option following receipt of their results. The Grace Period is not available in the second year of participation, regardless of whether it was used in the first year or not.

The “Grace Period” allows participants a year to familiarize themselves with the GRESB reporting and assessment process. The names of participating entities are still visible during the Grace Period, but GRESB Investor Members will not be able to request to see their results.

Participant Tools

The GRESB Assessment Portal has the following tools and functionality to help ensure an efficient and accurate submission:

The tools are designed to streamline data flows and increase data quality.

In 2023, participants can use the online GRESB Asset Portal or a data partner system to upload asset-level data for the following indicators:

GRESB Real Estate Assessment and Reference Guide Structure

Allocation to E, S, G

Each indicator is allocated to one of the three ESG dimensions (E- environmental; S- social; G- governance):

The score breakdown by the E, S, G dimensions within each component is presented below.

E S G
Management 0% 35% 65%
Performance 89% 11% 0%
Development 73% 21% 6%

Assessment indicator structure

Every indicator in the 2023 Assessment can be answered with ‘Yes’ or ‘No’ and in some cases with ‘Not applicable’. If ‘Yes’ is selected, the participant has the option to further classify the response by selecting one or more sub-options.

Participants should select all sub-options that accurately describe the entity and for which the entity can provide evidence. If ‘No’ or ‘Not applicable’ is selected, the participant may not select any additional sub-options. “A Not Applicable” answer is interpreted and scored in the same way as a “No” and will yield 0 points.

Evidence

Selected indicators in the Assessment require supporting evidence. Evidence is information that can be used to validate the overall answer to the indicator and support the additionally selected criteria.

GRESB does not have a prescriptive standard for evidence, rather the expectation is that a validator with reasonable domain expertise can review the evidence and find support for the overall indicator response and selected answer options. This means that the uploaded evidence must clearly reference the answer options selected by the participant. The evidence must not require extensive interpretation or inference, and participants are strongly encouraged to provide the simplest evidence that supports their claim.

Hyperlink

If a hyperlink (or deep link) is provided, ensure that the relevant page can be accessed within two steps. Ideally, the landing page should contain all the information needed to validate the answer. To qualify as valid supporting evidence, the evidence provided must demonstrate the existence of the relevant topic relating to each of the criteria selected. The participant has the obligation to ensure that the hyperlink is functioning. Broken links are the responsibility of the participant and will be interpreted as the absence of evidence. Hyperlinks can only be provided if indicated. In all other instances, the actual document should be uploaded. Hyperlinks in uploaded documents will not be checked.

Language

All Assessment responses must be submitted in English.

Providing Evidence in Other Languages

Documents uploaded as supporting evidence do not need to be entirely translated. However, for evidence provided in languages other than English, a thorough summary sufficient to convey the requirements have been met is required for validation purposes. Participants may make use of the open text box to provide the document(s) summary. In addition, each selected issue must be identified in the evidence uploads by providing page number and exact location such as paragraph, clause, sentence, bullet number, etc.

Translation of the GRESB Assessment

The GRESB Assessment Portal can be translated by using “Google translate” via the Google Chrome web browser. This applies to the Assessment Portal, guidance notes, and online version of the Reference Guide.

How to use Google Translate:

  1. On your computer, open Chrome.
  2. Go to the web page you wish to translate into another language.
  3. At the top, click the Translate icon.
  4. Chrome will translate the web page this one time.

Turn translation on

You can control whether Chrome will offer to translate web pages.

  1. On your computer, open Chrome.
  2. At the top-right, click ⠇ >Settings.
  3. At the bottom, click Advanced.
  4. Under 'Languages', click Language.
  5. Tick or untick 'Offer to translate pages that aren't in a language you read'.
  6. If the page is not yet being translated to your language, click on the Translate icon again, select “options”, and make sure your “Translation language” is not set to something else. If it is, change it to the desired language for translation.

Disclaimer

Please note that not all text may be translated accurately or be translated at all. GRESB is not responsible for incorrect or inaccurate translations. GRESB will not be held responsible for any damage or issues that may result from using Google Translate.

Open text boxes

Over the years, the number of scored open text boxes has been reduced to zero in an effort to shift focus from management to performance. Open text boxes are now only used for reporting purposes and to provide additional context for a subset of indicators. Note that the contents of the open text boxes are included in the GRESB Benchmark Report.

“Other” answers

Many indicators offer the opportunity to provide an alternative answer option (‘Other’). These other answers must be distinct from the options listed in the question. It is possible to add multiple other answers, however scores will not be aggregated. All Other answers are validated as part of the data validation process.

Indicator-specific guidance

The indicator-specific guidance contains:

Reporting year

Answers must refer to the reporting year identified in EC4: Reporting year in the Real Estate Assessment, unless the indicator specifies otherwise.

A response to an indicator must be true at the close of the reporting year; however, the response does not need to have been true for the entire reporting year. For example, if a policy was put in place one month prior to the end of the reporting year, this is acceptable, it need not have been in place for the entire reporting year. GRESB does not favour the use of calendar year over fiscal year or vice versa, as long as the chosen reporting year is used consistently throughout the Assessment.

Reporting entity

Answers must be applicable to the entity level. When a participating entity is part of a larger investment management organization or group of companies (the ‘Organization’), GRESB participants should use the open text box to explain how the answers apply to the entity.

In the GRESB Terms and Conditions, the term ‘Participating Portfolio’ refers to a ‘(Reporting) Entity’ as used in the in the GRESB Assessments, Guidance materials (e.g., Reference Guides and Scoring documents), GRESB Products (e.g., Benchmark Reports and PAT), the GRESB Portal, and in GRESB Training materials.

Scoring Methodology

The 2023 Real Estate Assessment is structured in three components: Management, Performance and Development:

Each Component is divided into Aspects; aspects comprise of individually scored indicators. This Reference Guide provides detailed insight into the points available for each indicator, and the weighting of Assessment aspects. The information in this section provides additional context. Points per indicator are determined by the GRESB Foundation in advance of the Assessment opening for responses. Indicator scoring goes through a three-stage review process based on GRESB’s rules, principles and guidelines.

Points Per Indicator

For indicators where you can select one or more answers, GRESB awards points cumulatively for each individual selected answer and then aggregates to calculate a final score for the indicator. For many indicators, this final score is capped at a maximum, meaning it is not necessary to select all answers to receive full points. This scoring mechanism allows the diversity among property companies and funds and the variety of their sustainability-oriented activities to be reflected. Supporting evidence and open fields for which participants select ‘other’ answers, are manually validated. Points are awarded based on the validity of the response.

Scoring Model

The scoring model is based on an automated system, which uses a technology platform designed for GRESB by a third party that specializes in data analysis software development. The scoring is completed without manual intervention after data validation has been completed.

The sum of the scores for each indicator adds up to a maximum of 100 points. The maximum score for each aspect is a weighted element of the overall GRESB Score. GRESB takes into account the unique characteristics of different property types, not only in benchmarking absolute scores, but also in the scoring of a selection of indicators. A selection of indicators is scored based on each portfolio’s main property types – this holds specifically for the Energy, GHG, Water, Waste and Building Certifications indicators.

The max Overall Score = 100, corresponding to 100 points, can be obtained as follows:

Component Aspect # Points % Component % Overall Score
Management Leadership 7 23% 7%
Policies 4.5 15% 5%
Reporting 3.5 12% 4%
Risk Management 5 17% 5%
Stakeholder Engagement 10 33% 10%
Total 30 100% 30%
Performance Risk Assessment 9 13% 9%
Targets 2 3% 2%
Tenants & Community 11 16% 11%
Energy 14 20% 14%
GHG 7 10% 7%
Water 7 9.5% 7%
Waste 4 5.5% 4%
Data Monitoring & Review 5.5 8% 6%
Building Certifications 10.5 15% 11%
Total 70 100% 70%
Development ESG Requirements 12 17% 12%
Materials 6 9% 6%
Building Certifications 13 19% 13%
Energy 14 20% 14%
Water 5 7% 5%
Waste 5 7% 5%
Stakeholder Engagement 15 21% 15%
Total 70 100% 70%

The GRESB Real Estate Benchmark consists of participants completing both the Management and Performance Components. The GRESB Development Benchmark consists of participants completing both the Management and Development Components. While each Component determines an individual score (ie: Management Component Score, Performance Component Score, Development Component Score), the GRESB Scores and GRESB Ratings only apply to entities completing all relevant Components for their portfolios. The possible combinations are set out below and illustrated in the diagram that follows:

A: Portfolios with only standing investments submit:

B: Portfolios with only development projects submit:

C: Portfolios with both standing investments and development projects submit:

The detailed scoring methodology as applied to each indicator can be accessed by participants via the Assessment Portal on April 1, 2023. This is shared for information purposes in an effort to increase transparency around the Assessment, Methodology and Scoring processes. GRESB reserves the right to make edits to this document during the scoring and analysis period preceding the 2023 results launch.

GRESB Rating

The GRESB Rating is an overall measure of how well ESG issues are integrated into the management and practices of companies and funds. The rating is based on the GRESB Real Estate Score and its quintile position relative to the GRESB universe, with annual calibration of the model. It is calculated relative to the global performance of all reporting entities - property type and geography are not taken into account. In this way the GRESB Rating provides investors with insight into the differentiation of overall ESG performance within the global property sector. If certain regions systematically perform better, they will on average have higher-rated companies and funds. If the entity is placed in the top quintile, it will have a GRESB 5-star rating; if it is in the bottom quintile, it will have a GRESB 1-star rating, etc.

Entities with more than 15 points (or 50%) in Management and 35 points (or 50%) in Performance OR 15 points (or 50%) in Management and 35 (or 50%) points in Development will receive the Green Star designation, highlighted through a distinctive markup in the Scorecard and Benchmark Reports.

Entity categorization

A pre-set threshold determines an entity’s geographic location and property type:

Peer group allocation

Each participant is assigned to a peer group, based on the entity’s legal structure (public/private), property type and geographical location. To ensure participant anonymity, GRESB will only create a peer group if there is a minimum of six peers in the group.

Peer group assignments do not affect a company/fund’s score, but determine how GRESB places an Assessment participant’s results into context.

The goal of the peer group creation process is to compare participants who share as many characteristics as possible, while:

Each participant can be part of multiple peer groups, but can only have one active peer group. The active peer group is displayed in the participant’s Benchmark Report. This means that participant A can be in the active peer group of participant B, without participant B being in the active peer group of participant A. The practical consequence of this is that A will be displayed in the Benchmark Report of B under “Peer Group Constituents”, while B will not be displayed in the Benchmark Report of A.

The peer group composition is determined by a simple set of quantitative rules and provides consistent treatment for all participants. If the peer group is too small or has too many participants with the same fund manager, we eliminate filters until we have a valid peer group. There are two ways in which the filter can be widened:

The system attempts to find the best peer group based on the criteria presented above.

Peer group disclosure

For public companies, the entity name of the peer group constituents is disclosed in the Benchmark Report. For private entities, only the fund manager’s name of the peer group constituents is disclosed. GRESB provides an opt-in option that discloses the entity’s name (listed) or fund manager’s name (private), as well as the scores for the two components (Management + Performance or Management + Development). However, this is only disclosed to participants in the peer group who also opted to disclose their names and component scores.

GRESB Data Validation Process

Data validation is an important part of GRESB’s annual benchmarking process. The purpose of data validation is to encourage best practices in data collection and reporting. It provides the basis for GRESB’s continued efforts to provide investment-grade data to its investor members.

GRESB validation is a check on the existence, accuracy, and logic of data submitted through the GRESB Assessments. The validation process includes both automatic and manual validation.

Automatic validation is integrated into the portal as participants fill out their Assessments, and consists of errors and warnings displayed in the portal to ensure that Assessment submissions are complete and accurate.

Manual validation takes place after submission and consists of document and text review to check that the answers provided in Assessment are supported by sufficient evidence. The validation rules and process are set and overseen by GRESB but the validation is performed by our third-party validation provider, SRI.

SRI Quality System Registrar (SRI) provides third-party validation services for GRESB. SRI is an accredited, independent certification body, and its subject matter experts will conduct the independent assessments of self-reported ESG data in the GRESB manual validation process.

Validation issues: queries and disputes (Review Period)

Participants with questions on individual validation decisions can contact the GRESB Helpdesk.

In 2020, GRESB introduced a new Review Period in the Assessment Cycle to further strengthen the reliability of our Assessments and benchmark results. The Review Period will start on September 1, when preliminary individual GRESB results will be made available to all participants and run for the month. During the Review Period, participants will be able to submit a review request to GRESB using a dedicated form. The final results will be launched to both participants and Investor Members on October 2. Public Results events and other results outputs will be rescheduled to October and November in order to accommodate the September Review Period.

For a complete interpretation of the validation decisions in the Assessment, participants can request a Results Review. For more information about the Results Review, click here.

Reporting Scope and Boundaries

GRESB requires property companies and funds to report on their whole portfolio, including both Landlord Controlled and Tenant Controlled areas (see below).

The Annual GRESB Assessment includes all assets that are held during the reporting year, including those that have been sold or purchased. For these assets, ESG data is reported for the period of time that the assets were part of the portfolio. This enables us to deliver the standardized and comparable assessment of portfolio-level ESG performance that the market is seeking. However, it is also worth noting that in addition to simple overall scores of ESG performance - such as the GRESB Real Estate Score and GRESB Ratings - we provide detailed aspect-level and individual indicator-level assessments of performance. This richer analysis, further complemented by peer group benchmarking, enables managers to understand their results in the context of their investment strategies and communicate this to their investors.

Joint ventures

GRESB requires property companies and funds to report on their whole portfolio, including both Landlord Controlled and Tenant Controlled areas (see below for specific guidance). Participants must report on all underlying assets in their portfolio, regardless of the percentage of ownership, but excluding vacant land, cash, ground leases or other non-real estate assets owned by the entity.

When an asset is owned as part of a joint venture (JV), joint operation, or is in joint ownership, participants are required to report on these assets, even if the joint arrangement means that the participant does not have direct operational control over the asset(s).

Assets that were owned for only one day during the reporting year should be excluded from the reporting scope.

If an asset is part of multiple portfolios managed by the same fund manager, the asset should be treated as a JV in each portfolio. If an asset is part of multiple portfolios managed by the same fund manager, the asset should be treated as a JV in each portfolio. The rules outlined above apply.

Landlord/Tenant Controlled Areas

In the past, GRESB used to classify assets as Managed or Indirectly Managed. Such classification was based on the notion of operational control and aligned with the GHG Protocol. In 2020, this concept was replaced by "Landlord Controlled" and "Tenant Controlled" areas, where the same notion of operational control applies to differentiate one from the other. However, while the rationale remains unchanged compared to previous years, the distinction now takes place at the space/area level. Consequently, one asset can include both landlord and tenant controlled areas. The definition of Landlord and Tenant Controlled areas in the Assessment is solely based on the landlord/tenant relationship.

Landlord controlled areas are those for which the landlord is determined to have “operational control” where operational control is defined as having the ability to introduce and implement operating policies, health and safety policies, and/or environmental policies. If both the landlord and tenant have the authority to introduce and implement any or all of the policies mentioned above, the area should be reported as landlord controlled. Where a single tenant has the greatest authority to introduce and implement operating policies and environmental policies, the tenant should be assumed to have operational control. For example, in the case of a full repairing and insuring (FRI) lease in England and Wales, the tenant has operational control meaning that the area is tenant controlled.

GRESB distinguishes between Landlord and Tenant Controlled areas in the Energy, GHG Emissions, Water, and Waste aspects of the Performance Component. GRESB has done so in recognition of the fact that landlords of tenant controlled areas may have little or no control over the use or purchase of utilities for the asset, or over waste management practices. The guidance for this aspect explains GRESB’s approach in more detail.

GRESB does not specifically distinguish between landlord-and tenant controlled areas outside of the Energy, GHG Emissions, Water, and Waste aspects. The Assessment measures ESG performance using a consistent methodology that applies both to listed companies and private funds and which applies across property sectors and regions. GRESB encourages the collection of data and qualitative information regarding ESG issues that give property companies and funds and their investors the tools to identify areas in which they can improve performance and as a toolkit for internal and external engagement.

Furthermore, while GRESB does measure absolute performance, it emphasizes the importance of peer group comparisons in scoring and the analysis of benchmark results. Where participant numbers allow this, GRESB creates separate peer groups for each property type, for listed and private entities and for Landlord and Tenant Controlled areas. Additionally, participants have the opportunity to explain the composition of their portfolio in the open text box in R1.1, including clarifying limits on asset control that arise from the landlord/tenant relationship.

With these factors in mind, while the landlord’s day-to-day involvement in tenant controlled areas may be limited, the topics covered by the Assessment are equally relevant to landlord controlled areas. Accordingly, the same questions and methodology apply.

2023 GRESB Real Estate Assessment Changes

This section provides an overview of the 2023 Real Estate Assessment Changes.

This year has been a transition period to establish the new GRESB Standards Development Process and for the GRESB Foundation to take on responsibility for setting the GRESB Standards.

The key objectives for the 2023 Standards changes were to:

  1. Focus on the most pressing issues, expressed by Stakeholders through the latest surveys and outlined in the GRESB vision, and identified as top priorities by the Foundation.
  2. Maximize the number of changes that could be reasonably achieved in the 2023 Standards, given the shorter timeframe in 2022 to implement the new operating model.
  3. Minimize the possible disruptions to participants and members, given the more limited scope this year to provide sufficient advance notice and allow them to adequately prepare and adjust to significant changes.
  4. Follow the new process, to prioritize, design, formalize and validate the changes for the 2023 Standards.

For a detailed description of the implementation of the new Standards Development Process this year and the work done to prioritize key topics, as well as a high-level outline of the design of the changes across all Standards, please refer to this document.

For a full list of the 2023 Real Estate Standard Changes, see Appendix 1.

This section provides an overview of the 2023 Real Estate Assessment Changes.

2022 has been a transition year to establish the new GRESB Standards Development Process and for the GRESB Foundation to take on responsibility for setting the GRESB Standards. The key objectives for the 2023 Standards changes were to:

  1. Focus on the most pressing issues, expressed by Stakeholders through the latest surveys and outlined in the GRESB vision, and identified as top priorities by the Foundation.
  2. Maximize the number of changes that could be reasonably achieved in the 2023 Standards, given the shorter timeframe in 2022 to implement the new operating model.
  3. Minimize the possible disruptions to participants and members, given the more limited scope this year to provide sufficient advance notice and allow them to adequately prepare and adjust to significant changes.
  4. Follow the new process, to prioritize, design, formalize and validate the changes for the 2023 Standards.

Prioritization of ESG topics for 2023 Standards

In line with the process outlined in the new Standards Development Process (see the GRESB Standards Development Process), the GRESB Foundation work began with a series of meetings in Q2 2022 to conduct the strategic review and prioritization exercise of the key ESG themes identified as most material by the GRESB stakeholders. This year, the Foundation focused more specifically on the ESG Issues outlined in the GRESB Vision.

For a detailed description of the implementation of the new Standards Development Process this year and the work done to prioritize key topics, as well as a high-level outline of the design of the changes across all Standards, please refer to this document.

General changes

PO1

Net Zero policy

Background and Purpose: Net Zero was consistently identified as a key topic throughout the prioritization process for the 2023 Standards. The GRESB Foundation deemed the existence of Net Zero policy an important element of this update, without imposing a single definition of Net Zero. As with other policies in the Standard, this change does not assess the content of the policy but instead rewards the internal commitment to Net Zero shown by establishing a policy.

Description of Change: Introduction of a dedicated section in indicator PO1 Policy on environmental issues addressing the existence of Net Zero policy.

Scoring Impact: The overall scoring weight of indicator PO1 remains constant. The new section carries a dedicated scoring weight of 0.5 points redistributed from the section relating to other environmental issues, now worth 1 point.

Reporting Impact: Net Zero policy is subject to the same reporting requirements as policies for other environmental issues. Demonstrating the existence of a valid Net Zero policy is a requirement for participants to obtain the related points. Indicator PO1 is not prefilled in 2023.

LE1

Net Zero commitments

Background and Purpose: Net Zero was consistently identified as a key topic throughout the prioritization process for the 2023 Standards. The GRESB Foundation deemed making a public Net Zero commitment to a third party initiative an important element of this update as it demonstrates action and disclosure towards this topic. As with other commitments in the Standards, this change does not assess the content of the commitment but instead rewards the intention shown by making a public Net Zero commitment.

Description of Change: The scope of indicator LE1 ESG leadership commitments is expanded to include a Net Zero commitments-specific section. This new section includes a check list of predefined Net Zero commitments as well as an ‘Other’ option for relevant commitments not on this list.

Scoring Impact: No impact on scoring.

Reporting Impact: Net Zero commitments are subject to the same reporting requirements as general ESG commitments. Participants are required to provide a hyperlink to corroborate the existence of their Net Zero commitment(s). There is no one definition or methodology for making a Net Zero commitment, as long as it relates to an existing third party standard or principle related to Net Zero. LE1 is not prefilled in 2023.

T1.2

Net Zero targets

Background and Purpose: Net Zero was consistently identified as a key topic throughout the prioritization process for the 2023 Standards. The GRESB Foundation deemed setting a Net Zero target an important element of this update as it demonstrates a key aspect of an entity’s plan to reach Net Zero. Details relating to the characteristics of Net Zero targets are included in this change, but they are not assessed. The GRESB Foundation will carry out further work to assess if a single definition of Net Zero can be developed to enable the assessment of the characteristics of Net Zero targets.

Description of Change: Restructuring and expanding on indicator T1.2 Net Zero Target(s) to introduce a table allowing participants to report one or multiple GHG emissions reduction targets aligned with Net Zero. The indicator collects several underlying characteristics of the target(s). Previous indicator T1.2 inquiring about the existence of a science-based target is now part of this new section as an optional characteristic. The indicator includes an open text-box allowing participants to provide qualitative supporting information regarding the strategy to achieve the target(s).

Scoring Impact: No impact on scoring.

Reporting Impact: Participants are required to report on all underlying characteristics of their Net Zero target(s). Indicator T1.2 is not prefilled in 2023.

T1.2/LE1

Net Zero disclosure

Background and Purpose: Disclosure promotes transparency and integrity and offers stakeholders more insight into a participant’s approach to a particular topic. Since Net Zero was consistently identified by the GRESB Foundation as a key topic throughout the prioritization process, identifying publicly disclosed elements of Net Zero in the Standards was deemed a priority for 2023. The 2023 Standard addresses Net Zero disclosure through the specific elements of Net Zero for which disclosure is deemed relevant, as opposed to through a dedicated indicator. Net Zero elements deemed relevant and sufficiently mature for disclosure in 2023 are commitments and targets.

Description of Change: Disclosure of Net Zero targets is addressed in indicator T1.2 Net Zero Target(s) by allowing participants to state if targets are publicly communicated or not. The disclosure of Net Zero commitments is addressed in indicator LE1 ESG leadership commitments through the intent of the indicator as it specifically asks whether the entity has made any public commitments to Net Zero.

Scoring Impact: No impact on scoring.

Reporting Impact: Participants are required to indicate if their Net Zero target(s) reported in T1.2 are publicly disclosed or not. Participants are required to provide supporting evidence of their Net Zero commitment(s) reported in LE1 via hyperlink.

LE3/LE5

Diversity, Equity, and Inclusion (DEI) Governance

Background and Purpose: The GRESB Foundation recognizes the importance of strengthening social issues in the Standard and this year DEI emerged as a priority from surveys of GRESB members. The initial focus for DEI is on the efforts made by organizations in this space, including DEI Governance.

Description of Change: A new section is added to indicators LE3 Individual responsible for ESG and/or climate-related objectives and LE5 ESG and/or climate-related senior decision-maker to address DEI governance, covering the same elements as previously covered in the indicators in relation to climate governance.

Scoring Impact: The overall score of indicators LE3 and LE5 remains unchanged at 2 points for LE3 and 1 point for LE5. The new sections related to DEI governance have a dedicated score of 0.4 points for LE3 and 0.2 points for LE5.

Reporting Impact: Participants are required to have a dedicated employee for whom DEI is a core responsibility to score full points in the new section in LE3, and have a senior decision maker accountable for DEI to score full points in the new section in LE5. Indicators LE3 and LE5 are not prefilled in 2023.

LE3/LE5

Climate Governance

Background and Purpose: In line with recognizing the importance of DEI Governance, the GRESB Foundation also identified Climate Governance as a material topic that also has to be reflected in the GRESB Score.

Description of Change: Introduction of scoring to the existing section on Climate governance in indicators LE3 Individual responsible for ESG and/or climate-related objectives and LE5 ESG and/or climate-related senior decision-maker. No impact on the underlying content of those indicators.

Scoring Impact: The overall score of indicators LE3 and LE5 remains unchanged at 2 points for LE3 and 1 point for LE5. The new sections related to Climate governance have a dedicated score of 0.4 points for LE3 and 0.2 points for LE5.

Reporting Impact: Participants are required to have a dedicated employee for whom Climate is a core responsibility to score full points in the new section in LE3, and have a senior decision maker accountable for Climate to score full points in the new section in LE5. Indicators LE3 and LE5 are not prefilled in 2023.

LE2

Diversity, Equity, and Inclusion (DEI) Objectives

Background and Purpose: The GRESB Foundation recognizes the importance of strengthening social issues in the Standards and this year DEI emerged as a priority from surveys of GRESB members. The initial focus for DEI is on the efforts made by organizations setting DEI objectives, where more research will be undertaken to provide further clarity on relevant DEI metrics before being able to address DEI targets and performance.

Description of Change: Indicator LE2 ESG Objectives is expanded to include a new issue-specific objectives section. This newly introduced section covers two issue-specific options: DEI (new) and Health and well-being (carried over from the 2022 Standard).

Scoring Impact: The overall score of LE2 ESG Objectives remains unchanged at 1 point. The new section on issue-specific objectives has a scoring weight of 0.05 points, equally shared between DEI and Health and well-being objectives.

Reporting Impact: Participants are required to set at least three general ESG objectives, and set DEI and Health and well-being-specific objectives in order to score full points for LE2. Indicator LE2 is not prefilled in 2023.

RM1-RM6.4

Physical Climate Risk (PCR)

Background and Purpose: PCR was identified as a priority topic by GRESB members and it is a critical aspect of the widely adopted reference framework TCFD, to which the GRESB Standard seeks continuous alignment to. The GRESB Foundation made PCR a focus of work this year by strengthening the prominence of existing content, with more research and development to follow for future years in this subject area.

Description of Change: Introduction of scoring to existing indicators RM6.3 Physical risk identification and RM6.4 Physical risk impact assessment. No impact on the underlying content of those indicators.

Scoring Impact: Indicators RM6.3 and RM6.4 are now worth 0.5 points each. Scoring weight is redistributed within the Risk Management aspect of the Standard. Reallocation of scoring weight from other indicators is based on reporting behavior analysis assessing to what extent indicators are no longer key differentiators between participants (see full reallocation below).

Reporting Impact: Participants are required to conduct PCR identification (RM6.3) and PCR impact assessment (RM6.4) to score full points. Evidence upload is required to complete the indicators. RM6.3 and RM6.4 are not prefilled in 2023.

Scoring weights (p)
Indicator2022 GRESB Standard2023 GRESB Standard
RM121.5
RM20.50.25
RM3.10.50.25
RM3.20.50.25
RM41.50.75
RM500
RM6.100.5
RM6.200.5
RM6.300.5
RM6.400.5
RM Total 55
RM1-RM6.4

Transition Risk (TR)

Background and Purpose: Alongside PCR, TR is a critical aspect of the widely adopted reference framework TCFD, to which the GRESB Standard seeks continuous alignment. As both TR and PCR are treated similarly in the Standard, the GRESB Foundation also focused on strengthening the prominence of existing content relating to TR.

Description of Change: Introduction of scoring to existing indicators RM6.1 Transition risk identification and RM6.2 Transition risk impact assessment. No impact on the underlying content of those indicators.

Scoring Impact: Indicators RM6.1 and RM6.2 are now worth 0.5 points each. Scoring weight is redistributed within the Risk Management aspect of the Standard. Reallocation of scoring weight from other indicators is based on reporting behavior analysis assessing to what extent indicators are no longer key differentiators between participants (see full reallocation below).

Reporting Impact: Participants are required to conduct TR identification (RM6.1) and TR impact assessment (RM6.2) to score full points. Evidence upload is required to complete the indicators. RM6.1 and RM6.2 are not prefilled in 2023.

Scoring weights (p)
Indicator2022 GRESB Standard2023 GRESB Standard
RM121.5
RM20.50.25
RM3.10.50.25
RM3.20.50.25
RM41.50.75
RM500
RM6.100.5
RM6.200.5
RM6.300.5
RM6.400.5
RM Total 55

Renewable Energy

Background and Purpose: The Standard previously allowed participants to report Renewable Energy that reflects the energy mix associated with grid intensity factors. In order to pave the way to properly reward performance in the future, it is necessary to refine the GRESB guidance and reporting requirements.

Description of Change: Aligning the GRESB guidance relating to Renewable Energy with the Scope 2 Quality Criteria of the GHG Protocol to only reward participants for procuring renewable energy and no longer for solely being connected to a grid that receives a portion of its energy from renewable sources.

Participants can also report renewable energy certifications (RECs) that have been retired on their behalf by a third party, such as local governments and/or utility companies.

Scoring Impact: Participants will no longer benefit (with up to 2.5 points) from the sole fact of being connected to a grid that receives an increasing portion of its energy from renewable sources, but instead be rewarded for procuring renewable energy. In order to receive points to this section, participants must legitimately retire RECs of the procured renewable energy or have those certificates be retired by a third party on their behalf.

Reporting Impact: Requirement to comply with the amended guidance for both current year and last year Off-site Renewable Energy data. Last year Off-site Renewable Energy fields are not pre-populated in the GRESB Asset Spreadsheet and in the GRESB Asset Portal.

Portfolio Completeness

Background and Purpose: The Standard previously allowed participants to exclude assets owned at less than 25% from the reporting scope. A key condition for the Standard to gradually evolve towards better recognising performance is to ensure completeness of key metrics (e.g. GHG emissions) for GRESB Investor Members, and ensure alignment with global accounting standards (e.g. PCAF).

Description of Change: Amending the GRESB guidance relating to Reporting Scope & Boundaries to require participants to report on all underlying assets in their portfolio, regardless of percentage of ownership.

Scoring Impact: No impact.

Reporting Impact: Participants will no longer be allowed to exclude assets from their reporting scope based on the percentage of ownership being less than 25%.

Percentage of Ownership

Background and Purpose: The Standard previously did not take into account the asset-level percentage of ownership when determining the weight an asset carries in the aggregation from asset-level data to portfolio-level metrics. A key condition for the Standard to gradually evolve towards better recognising performance is to ensure accuracy of key metrics (e.g. GHG emissions) for GRESB Investor Members, and ensure alignment with global accounting standards (e.g. PCAF).Percentage of ownership per asset is a necessary data point to consider in aggregation to ensure results accuracy.

Description of Change: Mandating the reporting of Percentage of Ownership at the asset level for consideration when determining the weight an asset carries in the aggregation from asset-level data to portfolio-level metrics.

Scoring Impact: This change impacts all relevant scored indicators reported at the asset level (RA2-5, EN1, GH1, WT1, WS1, BC1.1/1.2, BC2) as well as all indicators that require participants to report the percentage of portfolio covered (RA1, TC1, and TC3). An asset with a low/high Percentage of Ownership carries a proportionally low/high weight in aggregation, and consequently a lower/higher impact in the scores.

Reporting Impact: The reporting of Percentage of Ownership at the asset level becomes mandatory through the GRESB Asset Spreadsheet and/or the GRESB Asset Portal. Participants are also required to take the percentage of ownership into account when reporting portfolio coverage across (RA1, TC1, and TC3).

DMA2.2

Embodied Carbon

Background and Purpose: Embodied Carbon was identified as a highly material issue and the GRESB Foundation deemed addressing its measurement an important element for the 2023 Standards. In addition, this topic will be subject to further development in the next iterations of the Standard.

Description of Change: Expanding the scope of indicator DMA2.2 Embodied carbon disclosure to collect the following elements:

  • The measured values of Embodied Carbon: absolute embodied emissions and embodied emissions intensity.
  • The most common dimensions to contextualize the reported values: phase, life cycle stages, building layers.

Scoring Impact: No impact.

Reporting Impact: Participants are required to report on quantitative embodied carbon metrics relating to development projects completed within the reporting year, along with the scope of what is included in the measurement. Metrics should be reported separately for new construction and major renovation projects.

Tactical changes

WS1

Additional guidance on Waste reporting requirements

Background and Purpose: GRESB participants frequently struggle with reporting on waste generation and meeting GRESB’s requirements for collecting and reporting waste data. The waste data available is often not collected in actual waste tonnage, or requires some form of manipulation to fit into GRESB’s reporting requirements.

Description of Change: Additional guidance is added to Appendix 7 - Estimation Methodology on how participants can convert the data available into actual waste tonnage. If participants have (1) the number of waste bins per asset; (2) the volume of waste bins; and (3) the filling level of the bins, they can use these data points to convert the data available to a total waste tonnage relating to that period. In cases where (3) the filling level of the bins is unknown, participants are allowed to apply a “worst case” scenario assuming waste bins are full at each collection.

Scoring Impact: No impact on scoring.

Reporting Impact: Requirement to comply with the amended guidance for both current year and last year Waste data.

DEN2.2/ DMA2.1

Aligning the scope of indicators in the Development Component

Background and Purpose: The reporting scope of the Development Component includes all assets under development or completed during the reporting year. However, some indicators within the component previously required participants to report on projects completed within the last three years.

Description of Change: The scope of indicators DEN2.2 Net zero carbon design and standards and DMA2.1 Life cycle assessments is now aligned to the one of all other indicators in the Development Component and only addresses projects that are under development or have been completed during the reporting year.

Scoring Impact: No impact on scoring.

Reporting Impact: Participants are required to align their reporting to the amended scope in indicators DEN2.2 and DMA2.1 and report on assets under development or completed during the reporting year. Indicators DEN2.2 and DMA2.1 are not prefilled in 2023.

DBC1.1

Accepting operational certifications for alignment with green building standards in the design/construction phase

Background and Purpose: Indicator DBC1.1 Green building standard requirements in the Development Component previously inquired whether an entity’s development portfolio includes projects aligned with green building rating standards. Acceptable answers for alignment in DBC1.1 used to be limited to design and construction building rating standards.

Description of Change: Alignment with operational green building rating standards is now accepted for reporting in indicator DBC1.1.

Scoring Impact: No impact on scoring.

Reporting Impact: Participants are now able to report on development projects that are aligned with operational green building rating standards in indicator DBC1.1.

DEN2.1

Expanding the scope of indicator DEN2.1 on-site renewable energy

Background and Purpose: The scope of indicator DEN2.1 previously only covered on-site renewable energy, and low carbon technologies (e.g.geothermal heat pumps), were not accepted.

Description of Change: The scope of indicator DEN2.1 is expanded to also cover on-site low carbon technology.

Scoring Impact: No impact on scoring.

Reporting Impact: Valid low carbon technologies reported as an “Other” answer are now accepted for indicator DEN2.1. Indicator DEN2.1 is not prefilled in 2023.

Review of the Property Type Classification for Industrial, Distribution Warehouse

Background and Purpose: The Property Type Classification system previously did not distinguish between Distribution Warehouses used for refrigerated vs. non-refrigerated storage.

Description of Change: To align with the updated CRREM property sector classification and ensure more accurate insights going forward, the Property Type Classification system now differentiates Industrial, Distribution Warehouse assets between refrigerated and non-refrigerated storage.

Scoring Impact: No impact on scoring.

Reporting Impact: Participants are required to review their assets previously classified as Industrial, Distribution Warehouse, depending on whether they are used for refrigerated or non-refrigerated storage. The property type field for Industrial, Distribution Warehouse assets is not prefilled in the GRESB Asset Spreadsheet and Asset Portal.

Entity & Reporting Characteristics

Entity Characteristics

Reporting Characteristics

Management: Leadership

ESG Commitments and Objectives

2022 Indicator

Not scored , G

1 point , G

ESG Decision Making

2022 Indicator

2 points , G

1 point , G

1 point , G

2 points , G

Management: Policies

ESG Policies

2022 Indicator

1.5 points , G

1.5 points , G

1.5 points , G

Management: Reporting

ESG Disclosure

2022 Indicator

3.5 points , G

ESG Incident Monitoring

2022 Indicator

Not scored , G

Not scored , G

Management: Risk Management

Risk Management

2022 Indicator

1.5 points , G

0.25 points , G

Risk Assessments

2022 Indicator

0.25 points , S

0.25 points , G

0.75 points , G

Climate-related Risk Management

2022 Indicator

Not scored , G

0.5 points , G

0.5 points , G

0.5 points , G

0.5 points , G

Management: Stakeholder Engagement

Employees

2022 Indicator

1 point , S

1 point , S

1 point , S

0.75 points , S

1.25 points , S

0.5 points , S

0.5 points , S

Suppliers

2022 Indicator

1.5 points , S

1 point , S

1 point , S

0.5 points , S

Performance: Reporting Characteristics

Reporting Characteristics

Performance: Risk Assessment

Risk Assessments

2022 Indicator

3 points , E

3 points , E

Efficiency Measures

2022 Indicator

1.5 points , E

1 point , E

0.5 points , E

Performance: Targets

Targets

2022 Indicator

2 points , E

Not scored , E

Performance: Tenants & Community

Tenants/Occupiers

2022 Indicator

1 point , S

1 point , S

1 point , S

1.5 points , E

1.5 points , E

0.75 points , S

1.25 points , S

Community

2022 Indicator

2 points , S

1 point , S

Performance: Energy

Energy Consumption

2022 Indicator

14 points , E

Performance: GHG

GHG Emissions

2022 Indicator

7 points , E

Performance: Water

Water Use

2022 Indicator

7 points , E

Performance: Waste

Waste Management

2022 Indicator

4 points , E

Performance: Data Monitoring & Review

Review, verification and assurance of ESG data

2022 Indicator

1.75 points , E

1.25 points , E

1.25 points , E

1.25 points , E

Performance: Building Certifications

Building Certifications

2022 Indicator

7 points , E

8.5 points , E

2 points , E

Development: Reporting Characteristics

Reporting Characteristics

Development: ESG Requirements

ESG Requirements

2022 Indicator

4 points , G

4 points , E

4 points , E

Development: Materials

Materials

2022 Indicator

6 points , E

Not scored , E

Not scored , E

Development: Energy

Energy

2022 Indicator

6 points , E

6 points , E

2 points , E

Development: Water

Water Conservation

2022 Indicator

5 points , E

Development: Waste

Waste Management

2022 Indicator

5 points , E

Development: Building Certifications

Building Certifications

2022 Indicator

4 points , E

9 points , E

Development: Stakeholder Engagement

Health, Safety & Well-being

2022 Indicator

2 points , S

1.5 points , S

1.5 points , S

Supply Chain

2022 Indicator

2 points , S

2 points , S

Community Impact and Engagement

2022 Indicator

2 points , S

2 points , S

2 points , S