Green Lending in Credit Unions
Transcription
Green Lending in Credit Unions
Finding Sustainable Profits: Green Lending in Credit Unions W. Robert Hall Hall Associates Consulting, LLC ideas grow here Foreword by Frances A. Dubrowski Adjunct Professor of Environmental Law, Policy, and Finance University of Maryland School of Public Policy PO Box 2998 Madison, WI 53701-2998 Phone (608) 231-8550 www.filene.org PUBLICATION #249 (8/11) Finding Sustainable Profits: Green Lending in Credit Unions W. Robert Hall Hall Associates Consulting, LLC Foreword by Frances A. Dubrowski Adjunct Professor of Environmental Law, Policy, and Finance University of Maryland School of Public Policy Copyright © 2011 by Filene Research Institute. All rights reserved. Printed in U.S.A. Filene Research Institute Deeply embedded in the credit union tradition is an ongoing search for better ways to understand and serve credit union members. Open inquiry, the free flow of ideas, and debate are essential parts of the true democratic process. The Filene Research Institute is a 501(c)(3) not-for-profit research organization dedicated to scientific and thoughtful analysis about issues affecting the future of consumer finance. Through independent research and innovation programs the Institute examines issues vital to the future of credit unions. Ideas grow through thoughtful and scientific analysis of toppriority consumer, public policy, and credit union competitive issues. Researchers are given considerable latitude in their exploration and studies of these high-priority issues. Progress is the constant replacing of the best there is with something still better! — Edward A. Filene The Institute is governed by an Administrative Board made up of the credit union industry’s top leaders. Research topics and priorities are set by the Research Council, a select group of credit union CEOs, and the Filene Research Fellows, a blue ribbon panel of academic experts. Innovation programs are developed in part by Filene i3, an assembly of credit union executives screened for entrepreneurial competencies. The name of the Institute honors Edward A. Filene, the “father of the US credit union movement.” Filene was an innovative leader who relied on insightful research and analysis when encouraging credit union development. Since its founding in 1989, the Institute has worked with over one hundred academic institutions and published hundreds of research studies. The entire research library is available online at www.filene.org. iii Acknowledgments The author would like to thank George Hofheimer and Ben Rogers of the Filene Research Institute for the opportunity to conduct this important research and for their helpful guidance along the way. iv Table of Contents Foreword Executive Summary and Commentary vi viii About the Author xi Chapter 1 Introduction and Methodology 2 Chapter 2 Green Loan Products 13 Chapter 3 From Deciding to Marketing 25 Chapter 4 Partnerships and Profitability 31 Chapter 5 Public Policy Conclusions and Recommendations 37 Endnotes 43 v Foreword Approximately 91 million Americans are credit union members, attracted by the prospect of more accessible, affordable, and consumer-friendly financing in member-owned not-for-profit financial institutions. Collectively, these Americans represent over 44% of our economically active population. A host of national policy objectives—enhancing national security, achieving greater energy independence, curbing greenhouse gas emissions, improving urban air quality, creating clean tech jobs, maintaining economic competitiveness, and correcting trade imbalances—depend on motivating these consumers (and their counterparts who rely on banks rather than credit unions for financial services) to use less energy. By Frances A. Dubrowski Adjunct Professor of Environmental Law, Policy, and Finance University of Maryland School of Public Policy But trading in a gas guzzler for a cleaner or more efficiently fueled vehicle, weatherizing an older home, replacing an inefficient appliance, or retrofitting a solar, wind, or geothermal energy system entails up-front costs. For example, the US Environmental Protection Agency estimates that recently issued emission standards for new passenger cars and light-duty trucks for model years 2012–2016 will save our nation 1.8 billion barrels of oil and reduce greenhouse gas emissions by nearly 1 billion metric tons—equivalent to taking 50 million cars off the road. Yet the standards will cost an average of $950 per model-year 2016 vehicle, and to achieve the projected benefits, consumers must first be prepared to upgrade their current vehicles despite recession-induced spending jitters. States, too, are counting on consumers to change their energyconsumption patterns. Thirty-eight states have adopted either a standard or a goal to ensure that a certain percentage of electricity generation comes from renewable or alternative fuels. These measures vary widely in terms of both ambition and stringency, but they share a common objective: weaning us off an economy where 83% of our energy comes from fossil fuels (petroleum, natural gas, and coal—all sources of greenhouse gas emissions). At the state level, too, achievement of policy objectives will turn, to a large extent, on the actions of countless individual consumers to pare energy demand by making short-term changes in expectation of reaping long-term rewards. Who will finance this transition? Who will reap its benefits? Will the rewards of more sustainable energy use (e.g., lower utility bills, reduced gasoline expenses, a cleaner atmosphere, and a cushion against rising fuel prices) be limited to those affluent enough to afford higher short-term costs, or will low- and moderate-income workers also have access to energy efficient cars, homes, and appliances? vi The Filene Research Institute and Hall Associates Consulting, LLC, deserve kudos for raising these important policy questions. Their groundbreaking research demonstrates that credit unions of all sizes are finding it profitable to offer borrowers loans for purchasing fuel efficient or electric vehicles or for making energy-saving home improvements. Their report contains key insights for: • Credit union managers and board members. • Utilities. • Nonprofits. • Green product and service vendors. • Appliance manufacturers and retailers. • Energy efficiency and renewable energy system installers. • Home renovation contractors. • National, state, regional, and local government officials. • Private and public sector employers. • Small-business owners. • Consumers. • Community organizations. • Environmental policy analysts. • Environmental justice advocates. In short, anyone who cares about economic growth, consumer services, energy security, and environmental health. vii Executive Summary and Commentary by Ben Rogers, Research Director It’s hard to read management literature in 2011 without tripping over titles such as “Sustainability Strategy 2.0: Next Generation Driver of Innovation,”1 “Making the Business Case for Sustainability,”2 and “Values vs. Value.”3 Filene has published two significant reports describing both the potential of a sustainability strategy and the pitfalls: Back to the Future: Integrating Sustainability into Credit Union Strategy (2008) and Credit Union Social Responsibility: A Credit Union Road Map (2010). Credit unions that ask how they can join the green revolution often make a quick leap to green lending for cars, home improvements, energy savings, and more. Lending is, after all, credit unions’ core business. But, to date, there has been little data on green lending. This report moves from the theoretical to the practical and finds that more and more credit unions are discovering that lending for green purposes is not only a good thing to do but also a smart thing to do. It is good business in its own right. The loans are profitable; they attract financially strong borrowers, spur membership growth, and lead to new growth in solidly performing loans on the balance sheet. What Is the Research About? This report shows that a growing number of credit unions are offering loans to their members that are specifically focused on helping them make energy-saving improvements to homes, businesses, and transportation. In some cases these green loan programs have been motivated by a concern for the environment, and in others the focus has been on helping members or increasing loan applications and spurring new membership growth. The data are limited to a sample of credit unions, but they are directionally useful. The survey data on which this report relies represent responses from dozens of credit unions larger than $50 million (M) in assets, supported by follow-up interviews. In nearly every instance, the credit unions have reported that their green loan programs have been profitable. The only ones that did not affirmatively say the green loans were Figure 1: Asset Size of Green Lenders profitable were those that had not yet conducted the necessary analysis. Number of Percentage of Asset range respondents respondents <$25M 1 3 $25M–$50M 1 3 $50M–$100M 8 21 $100M–$500M 12 32 $500M–$1B 6 16 >$1B 10 26 Total 38 100 viii By and large, credit unions offering green loan products reported that they were not using any special underwriting criteria in connection with reviewing loan applications. In a couple of cases, higher debt-to-income ratios were available in connection with first and second mortgage loans; however, credit unions repeatedly noted during the study’s interviews that special underwriting criteria were unnecessary because of the high credit scores of the applicants for the green loans. In one case, a credit union said that the only applications they had to decline using traditional underwriting were from applicants who were not in the credit union’s field of membership (FOM) and thus were ineligible to join the credit union. The interviewed credit unions also consistently observed that in many instances there were no delinquencies for any of their green loans. As it turns out, green loan borrowers are an extremely attractive customer profile for these lenders. Beyond the positive personal financial profiles of the borrowers, several of the credit unions also noted that most of their green loan borrowers are in the 20–40 years of age demographic, which they view as extremely important for the future of the credit union. If green lending is good for this early mover group, it holds promise for the rest. More than one-third of the credit unions that offer at least one of the tested green loan products said they had entered into partnerships with third-party organizations. Utility companies and nonprofit organizations were the most common types of partners in these programs. While some partners offered subsidies or assistance in the form of interest rate buy-downs or loan loss reserve subsidies, the most frequently identified partner assistance was in marketing the green loan products. Each interviewed credit union that had a partnership felt that it was helpful regardless of the type of assistance provided, and recommended that others considering green loan products explore these opportunities. Nevertheless, the fact that nearly two-thirds of the credit unions offering green loan products did so without entering into partnerships and still reported that their green loans were profitable suggests that partnerships are not a precondition for successful programs. While it appears from the survey that credit unions with assets of $50M or higher are more likely than smaller credit unions to offer green loan products, the survey and the subsequent interviews found that credit unions of all sizes can have success implementing green loan programs. Indeed, some smaller credit unions view these products as important in differentiating them from other financial institutions in their markets and helping them generate important new member growth and additional loan demand. Many credit unions offer green loans on an unsecured basis with borrowing limits of $10,000–$20,000. These loans avoid the problem in many parts of the country of declining home values and limited home equity to secure the loans. Very few of the participating credit unions indicated that they offered or marketed loans for energy efficiency improvements or ix alternative energy improvements to small businesses. Looking forward, this may be an area in which credit unions can identify new lending opportunities. This may also be an appropriate type of loan in which underwriting criteria might recognize the cost-avoidance aspects of loans that are made by lowering the operating expenses of the businesses through savings on utility bills. Many of the credit unions that responded that they do not currently offer specific green loan products to their members do market their electronic services (such as Internet banking, bill payment, and e-statements) to their members as “green.” Many of these credit unions have recognized that electronic services can reduce their own operating expenses and have been active in encouraging adoption by their members. What Are the Credit Union Implications? Credit unions typically think only of the National Credit Union Administration (NCUA) or state and provincial examiners when they think of regulators. But, as the author shows, the conversation about green lending is happening among many branches of government. This report offers excellent preliminary information to those regulators. It shows that credit unions are not just willing but already active green lenders. As debates over government expenditures increase, the report shows that credit unions are already in the green lending arena, with or without public partnerships. Moving forward, credit unions should explore “going green” not just as a cost-cutting strategy but also as a business growth strategy. Many energy-saving loans are relatively small and can be offered on an unsecured basis. Historically, this is an important credit union market niche, and one that many banks have avoided. However, in the future, with energy costs expected to rise, from the fuel pump to the electrical outlets in people’s homes, well-structured and well-marketed green loan programs have the potential to become as important as car loans have been in the past to credit unions. x About the Author W. Robert Hall A longtime credit union expert, Bob Hall has extensive experience in credit union law, regulation, and business operations. As president of Hall Associates Consulting, LLC, he works with the credit union community to take innovative ideas and translate them into effective business solutions. In addition to successfully chartering the first Internet-based credit union (REALTORS FCU), he has worked to dramatically increase credit unions’ access to the secondary mortgage market, and he advises credit unions on topics ranging from serving self-employed business owners to field-of-membership expansions, and from the development of new products and services to the launch of effective advocacy campaigns. Prior to starting his consulting firm, Hall worked on Capitol Hill for 18 years in a variety of roles, including chief of staff to US Rep. Paul Kanjorski and staff director of the US House Banking Subcommittee on Economic Growth and Credit Formation. He also served as chief of staff to the Chairman of the National Credit Union Administration (NCUA) and as a policy advisor in the Office of the US Secretary of Commerce. Based in the Washington, DC, area, Hall is a believer in lifelong learning and recently completed the work for an environmental finance certificate from the University of Maryland. xi CHAPTER 1 Introduction and Methodology As energy efficiency continues to make news and show up on policymakers’ agendas, it’s important to understand the state of green lending among credit unions. Because traditional call reports do not break out lending for green purposes, this report relies on a sizable sample of survey data and in-depth interviews to describe the current lending landscape and chart the path forward for credit unions. In October 2009, the White House Council on Environmental Quality (CEQ) released Recovery through Retrofit, an analysis of the opportunities to significantly cut US energy consumption, reduce emissions of greenhouse gases, and stimulate the economy through the development of a more robust market for energy efficiency improvements in homes across the nation. “There are almost 130 million homes in this country. Combined, they generate more than 20 percent of our nation’s carbon dioxide emissions, making them a significant contributor to global climate change. Existing techniques and technologies in energy efficiency retrofitting can reduce home energy use by up to 40 percent per home and lower associated greenhouse gas emissions by up to 160 million metric tons annually by the year 2020. Furthermore, home energy efficiency retrofits have the potential to reduce home energy bills by $21 billion annually, paying for themselves over time.”4 The report outlined a series of steps necessary to overcome several barriers impeding the development of a more robust market for energy efficiency improvements. One such barrier was that “high upfront costs and a lack of credit and financing options dissuade many homeowners from completing or even considering energy efficiency home retrofits.”5 Building on previous economic recovery initiatives, such as extending and expanding a 30% tax credit for investment in residential energy efficient property (which can have the effect of offsetting some of the up-front costs), CEQ outlined several steps to address this “lack of credit and financing options” barrier, including: • Supporting municipal energy financing, such as Property Assessed Clean Energy (PACE) programs. • Improving Energy Efficient Mortgages. • Expanding state revolving loan funds. The Recovery through Retrofit report states, “Because home buyers lack information about the payoffs associated with increasing a 3 home’s energy efficiency and because the industry does not properly incentivize retrofits that pay-off over long periods of time, homeowners often do not recoup the actual value of their energy efficiency investments when they sell. The solution is to make financing more transparent, more accessible, repayable over a longer time period, and overall, more consumer-friendly.”6 This observation by the CEQ— that US homeowners confront a lack of credit and financing options for energy efficiency home improvements—was the initial catalyst for this study. Was this really the case? If so, were the solutions that were identified the best options? Some home energy efficiency improvements are relatively inexpensive and result in quick returns through savings on utility bills; however, these frequently do not require accessing credit or obtaining financing of the type that might be provided through state revolving loan funds, mortgages, or municipal financing initiatives. Other kinds of residential energy efficiency improvements, such as replacing windows or upgrading heating and cooling systems, have higher up-front costs and are unlikely to produce monthly utility bill savings that would equal the probable monthly costs associated with financing these improvements. But does this mean that homeowners do not have sufficient access to affordable credit to make these investments? The normal way researchers examine the extent to which financial institutions are lending is to analyze the call reports that they submit quarterly to their regulators. These data provide a wealth of information on lending for new or used vehicles, amounts and types of first mortgages used to purchase or refinance a home, outstanding credit card balances, home equity loans and lines of credit, and business and commercial lending. Call reports can also provide important information on loan performance, borrower delinquencies, and typical interest rates. Unfortunately, loans for residential energy efficiency improvements or alternative energy improvements do not fit into any of the standard reporting categories. Did homeowners borrow to install new windows or more efficient heating/cooling systems? The data do not tell us. Similarly, we do not know whether these loans were secured on the basis of the homes’ equity, unsecured, or simply charged to the homeowners’ credit cards. How many home energy efficiency loan applications were declined by financial institutions, and for what reasons (low credit scores, insufficient equity in the property, or loss of household income)? Once again, normal call report data do not provide us with this kind of information. Therefore, we do not really know whether financial institutions are lending for green purposes, nor do we know whether those financial institutions that are lending for green purposes are earning a reasonable return. 4 A stated goal in the CEQ analysis was to find ways to access and leverage private sector capital to promote greater adoption of residential energy efficiency improvements. With significant budget constraints facing all levels of government, the participation of private sector capital will be vital to the success of efforts to enhance the access to, and affordability of, the credit necessary for homeowners to make the required energy efficiency improvements. But, we really do not know how much private sector capital is already being invested to support residential energy efficiency improvements. Most credit unions currently focus their sustainability efforts somewhere between strategic philanthropy and values-based self-regulation (see Figure 2). But for credit unions that see a strategic match, green lending moves its practitioners toward the growth platform, to a niche where sustainable inclinations actually capture profit. Credit union loan growth is anemic across the system: –1.5% in 2010. Even under optimistic scenarios, US credit union lending will grow only 2% in 2011, so it is imperative to look at new niches for help. If proponents of residential energy efficiency improvements want to leverage or increase the availability of private sector capital in order to enhance homeowners’ access to affordable credit, it will be necessary to demonstrate that it is possible to earn a reasonable return on private sector capital investments. This can be facilitated in a variety of ways, but the essential ingredient must be that this lending is good business. Without the ability to make a compelling business case, efforts to encourage significant new investment will be seriously constrained. The ability to make such a business case is hampered by a lack of information on the extent to which this type of lending is Figure 2: Corporate Social Responsibility Value Curve Growth platform Values-based self-regulation Strategic philanthropy Incorporates the company’s value system and/or code of conduct to guide Alignment of charitable activities business behavior with social issues that support business objectives Legal and compliance Efficiency Measurable cost savings through efficient or win–win scenarios Adherence to law in the countries of production, operation, and distribution Source: IBM Institute for Business Value (www-935.ibm.com/services/us/gbs/bus/pdf/gbe03019-usen-02.pdf). 5 Access to new markets, new partnerships, or product/service innovations that generate revenue already occurring and what factors influence its profitability. Starting the process of gathering this type of information is the purpose of this report. Similarly, from a public perspective, the absence of necessary information inhibits the ability to implement effective initiatives necessary to achieve policy objectives. Is promoting new municipal tax–based financing programs, or helping to capitalize state revolving loan funds, more likely to leverage private sector capital investment than guaranteeing energy efficiency loans originated by traditional financial institutions? Is it more important to subsidize the interest rate to the consumer or to supplement the lending institution’s loan loss reserve? How should the costs associated with implementing residential energy efficiency initiatives be allocated among the beneficiaries? What gets the best result at the lowest cost? Green lending by credit unions was selected for initial research because credit unions have a history of providing small, fairly priced consumer loans. Because credit unions are not-for-profit financial DEFINING “SUSTAINABLE FINANCE” The concepts of corporate sustainability sustainable finance refers to the incorpora- and cooperatives’ concern for community tion of environmental and social goals into can be further refined from the perspective banking, insurance, and asset manage- of the financial sector. The unique sustain- ment, including products and services and ability risks, impacts, and opportunities of the overall management of the financial the financial sector, as distinct from other institution. industries such as mining, manufacturing, and retail, become important to under- Figure 3: The Sustainability Strategy Equation stand. As financial institutions concerned with deposit-taking, lending, insurance pro- Sustainability = Do good + Do no harm vision, and wealth management services, credit unions have particular roles to play when it comes to social and environmental Strategy = Business case + Goals + Plans + Monitoring + Reporting considerations. This is often referred to as the field of sustainable finance. As with sustainability, sustainable finance does not have a universal definition. Indeed, global From “Credit Union Social Respon- and regional banks are experimenting with sibility: A Credit Union Road Map” the concept, competing on these grounds (Filene Research Institute, 2010) in many markets. Essentially, however, 6 cooperatives, the earnings threshold necessary to engage in green lending may be less steep than at other types of financial institutions. Finally, because of their collaborative structure, credit unions might be more willing to share information on their business strategies and best practices. The Filene Research Institute’s close ties to the credit union community and its reputation for innovative, impartial, and professional analysis make it the ideal forum through which to reach out to credit unions and seek their voluntary sharing of information essential to conduct this research. Methodology Credit unions and other types of financial institutions do not report information in call reports to their regulators on most of the purposes for which loans are granted. Although call report data can tell researchers whether a loan was made to purchase a vehicle or a home, SURVIVING THE BIG SQUEEZE IN CONSUMER FINANCE With banks threatening from above and adults to credit unions a strategic priority. micro-finance institutions encroaching Typical credit union members today (aged from below, credit unions are caught in the 25–44) seek loans (auto, education, home, proverbial “big squeeze.” In fact, without etc.). Older members, in contrast, tend to a distinctive value proposition, the credit focus more on savings products. Attract- union industry appears to be stuck in the ing younger members will clearly require middle, with serious implications for long- creative new product offerings. Leveraging term growth. From 2003 to [2008], for young people’s interest in the environ- example, membership in credit unions has ment and sustainability through products been stagnant at 29% of the U.S. popula- and services that address these concerns tion. To make matters worse, the industry might provide one such avenue. Moreover, has an aging membership base with an tax exemption gives credit unions a cost average age of 47. Only 6% of credit union advantage over for-profit players. members are between the ages of 18 and 24, and 17% between the ages of 25 and 34. Indeed, the highest membership penetration is among people aged 34–64, while the lowest penetration level is found among people aged 18–34. If credit unions are to overcome this “big squeeze,” they must revive the same innovative spirit that triggered their initial growth and development: They must go “back to the future” by engaging today’s underserved, in order to uncover tomor- Not surprisingly, the Credit Union National row’s untapped opportunity. By returning to Association (CUNA) recently recom- their roots—serving the underserved—and mended making the attraction of young 7 (continued) SURVIVING THE BIG SQUEEZE IN CONSUMER FINANCE (CONTINUED) Figure 4: The Sustainable Value Framework Tomorrow Strategy: Clean technology Develop the sustainable competencies of the future Strategy: Base of the pyramid #REATEASHAREDROADMAP FORMEETINGUNMETNEEDS Corporate payoff: Innovation and repositioning Corporate payoff: Growth and trajectory Sample credit union application: s&INANCINGGREENPRODUCTS s)NVESTMENTINCLEANTECHNOLOGIES Sample credit union application: s2%!,3OLUTIONSINITIATIVESEGPAYDAY LENDINGSPECIALSAVINGSPRODUCTS 3USTAINABLE value )NTERNAL %XTERNAL Strategy: Product stewardship )NTEGRATESTAKEHOLDERVIEWS into business processes Strategy: Pollution prevention -INIMIZEWASTEAND emissions from operations Corporate payoff: Cost and risk reduction Corporate payoff: Reputation and legitimacy Sample credit union application: s3USTAINABILITYREPORTINGINITIATIVE s)NHOUSESUSTAINABILITY CONSULTINGSERVICES Sample credit union application: s'REENBUILDINGINITIATIVES s0APERLESSSERVICESEGBILLPAY ANDORONLINEBANKING 4ODAY Source: Adapted from S. Hart and M. Milstein, “Creating Sustainable Value,” Academy of Management Executive 17, no. 2 (2003): 56–69. incorporating environmental concerns into From “Back to the Future: Integrating new product offerings, credit unions may Sustainability into Credit Union Strat- be able to carve out a unique position in egy” (Filene Research Institute, 2008) the financial services market attractive to the younger demographic. 8 along with the number of home equity loans that were made, they do not tell whether the loans were used to pay for a child’s education, go on a family vacation, or install solar panels. The same is true for most other loan products. Federal and state regulatory agencies have responsibilities to gather data from financial institutions to evaluate whether they are operating in a safe and sound manner or to ensure compliance with various statutory and regulatory requirements. Gathering this information can require significant time and effort on the part of both the regulators and the individual financial institutions. Therefore, it is not reasonable to expect regulatory agencies to impose additional regulatory burdens on financial institutions by asking questions that do not directly relate to their missions and responsibilities. In order to analyze credit unions’ lending for green purposes, it is necessary to seek data directly from credit unions on a voluntary basis. Because this research was seeking detailed information on the number and dollar amounts of loans for various green purposes, as well as on loan performance, profitability, partnerships, and marketing, it was necessary to provide credit unions with sufficient time to research responses to various questions. A standard telephone-based market survey would not yield the type of quantitative or qualitative information necessary to achieve the objectives of this research so an online survey was created. It was also necessary to strike a balance between the depth and the precision of the information being sought and to make it relatively easy for participants to complete the survey. For this reason, in some instances information was asked for in ranges (e.g., 10–50 fuel efficient vehicle loans), rather than requesting the specific amounts. Additionally, in an effort to encourage as many credit unions as possible to participate, respondents were assured that their answers would remain confidential. This was done in an attempt to ameliorate any possible concerns over sharing details that some respondents might view as proprietary or having the potential to impact their business operations or competitive position. The survey asked participating credit unions whether they offered or marketed a series of green loan products. If they responded yes, a series of questions about the particular product were asked, including the number and aggregate dollar amount of the loans made in 2010, the types of subsidies or discounts offered, the kinds of third-party partnerships used, and whether the loans were profitable. After exploring the different green loan products, respondents were asked a series of questions about the ways they marketed the products and the ability of their operating systems to monitor the performance of their green loan portfolios. They were also asked a series of demographic questions regarding their asset size, NCUA region, charter types, and field of membership (FOM) type. 9 Future survey research using this approach should consider asking the demographic questions at the start of the survey. As noted throughout the discussion of the responses in this analysis, there was a drop-off in the respondents completing the demographic questions. As a result, while most credit unions that took the survey answered whether they offered the specific green loan products, in many instances the ability to identify any possible patterns or trends was diminished in exploring the extent to which the lending was occurring at larger versus smaller credit unions or at credit unions in particular regions, or whether it was based on their types of charters and FOMs. Conducting research through voluntary surveys has additional implications. Respondents are, by nature, self-selecting. It is not always clear why someone chooses to participate. For example, it is possible that credit unions that do not offer green loans decide that their participation is not relevant. In the outreach efforts, described below, credit unions were specifically asked to respond even if they did not offer any of the products. Nevertheless, with any self-selecting sample, caution must be exercised in reading too much into the results. Without the ability to require all lenders to respond (i.e., call reports) or the ability to control the composition of the respondent pool to ensure that a representative sample is achieved, care is necessary in extrapolating on the survey’s results. Despite the limitations, important insights can be gained. While it might not be possible to conclude that a certain percentage of all credit unions offer one green-focused product or another, it is possible to obtain useful information on the experiences of the subset of credit unions engaged in the different types of lending. It is also possible to begin identifying the different variables impacting upon the success of these credit unions’ efforts. If public policy seeks to increase the amount of private sector capital engaged in making residential energy efficiency improvements, it is useful to know what private sector lenders think is important and what types of initiatives have yielded the best results. Best practices can be identified and shared even if we do not know precisely what percentages of financial institutions are using them. Following the completion of the online survey, interviews were conducted with a subset of credit unions. The purpose of these interviews was to explore a variety of topics in greater depth, such as the reasons the credit unions decided to offer green-focused loan products, initial expectations and operational experience, the importance of partnerships with third-party organizations, and characteristics of green borrowers and loan performance. 10 As noted above, in conducting this research there was a desire to encourage as much participation in the survey as possible, regardless of the extent to which credit unions were offering green loan products. Since responding to the survey was purely voluntary and participation was outside the normal work and focus of financial institution staff, a variety of outreach efforts were employed. The Filene Research Institute issued a press release and prominently posted an announcement on its website that described the research, encouraged participation, and included a link directly to the survey. The Institute then sent an e-mail to the 4,500 credit union e-mail addresses in its database. These outreach efforts prompted some credit union trade associations to mention the research on their websites and encouraged participation. Several days later, Hall Associates Consulting, LLC, issued its own press release and contacted the editors of credit union trade publications. This resulted in short articles about the project appearing in Credit Union Times and Credit Union Journal. Following this, Hall Associates Consulting, LLC, sent e-mails to the chief executive officers (CEOs) of several hundred credit unions encouraging their participation, and the Filene Research Institute reposted its blog. Finally, the Institute contacted its board and advisory members and asked that their credit unions participate. The Institute also reached out to a sister organization, the CUNA Lending Council, which agreed to contact its credit union members to encourage them to take the survey. Respondent Demographics Between January 6 and February 23, 2011, 144 credit unions started the survey, and 112 (78%) completed it. Of the 96 respondents that answered the location demographic question, 13 were based in Canada and 83 were based in the United States. Sixteen respondents did not identify their region.7 To put this in context, as of December 31, 2010, there were 7,491 credit unions in the United States and at least 427 in Canada; therefore, about 1% of US credit unions and 3% of Canadian credit unions responded to the location demographic question. Figure 5: FOM of Respondents Number Percentage Community common bond FOM type 64 58 Multiple common bond 32 29 9 8 Primarily one occupational group Primarily one associational group Responded 5 5 110 100 11 Within the United States, there was a fairly even distribution of the respondents among geographic regions as defined by the NCUA. Responding credit unions were also asked to identify their FOM type. Credit unions are only allowed to serve individuals and organizations that have joined (i.e., become members of ) the credit union. Membership eligibility is defined in law and regulation based on shared common bond types (generally community, occupational, or associational). Eligible membership groups are specifically identified in each credit union’s charter and approved by its regulator. These FOM restrictions can have an important impact on the types of partnerships and marketing activities credit unions pursue. Figure 6: Survey Responders by Asset Size Asset range <$25M # survey responders 3 % survey responders 3.6 $25M–$50M 5 6.0 $50M–$100M 17 20.5 $100M–$500M 30 36.1 $500M–$1B 12 14.5 >$1B 16 19.3 Total 83 100 As shown in Figure 6, the asset size demographics of the responding credit unions do not reflect the asset size distribution of the overall credit union community. On average, responding credit unions were more likely to be larger-asset institutions. This is not surprising, as smaller-asset credit unions frequently do not have the staff resources to participate in nonoperational essential activities such as this survey. The extent to which larger credit unions are more apt to offer green loan products is explored later in this report in the analysis of the individual green loan products. Finally, the survey asked respondents if they would be willing to respond to additional questions. Twenty agreed and provided contact information. Through this contact information it was possible to identify these credit unions and compare some of their responses with data submitted to regulators through call report submissions. While the survey results cannot be viewed as a representative sample for “census” purposes, important insights are possible in exploring lending partnerships, profitability, and best practices. 12 CHAPTER 2 Green Loan Products Credit unions’ self-described green products take on various faces, from auto loans to e-statements. The most popular green loan is for fuel efficient vehicles, followed by various loans for home energy efficiency improvements. Green lending is not limited to larger credit unions; respondents range from under $50M to over $1 billion in assets. The survey identified 12 specific loan products that it presented to the respondents and asked whether each was offered or marketed by the credit union. Of the 144 credit unions that started the survey, 61 (42%) said they offer at least one of the identified products. The specific loan products are shown in Figure 7, along with how many respondents indicated the product was offered or marketed by the credit union. Interestingly, while fuel efficient and/or electric vehicle loans are the most frequently offered of the green products tested, 13 of the 96 credit unions that indicated they do not offer green vehicle loans responded that they do offer at least one of the other green loan products. The next most common product is home energy efficient windows (5), followed by Energy Efficient Mortgages (4). Only two credit unions with assets under $50M (6%) responded that they offer green loan products. As noted earlier, it is possible that these smaller credit unions simply were less likely to have participated in the survey, and their smaller green loan offerings may be understated in the survey results. Figure 7: Green Loan Products Offered Yes No % Yes Fuel efficient and/or electric vehicles Loan product offered/marketed 48 96 33 Home energy efficient windows 17 110 13 Home EnergySTAR appliances 13 110 11 Home insulation or weatherization 12 109 10 Home solar hot water systems 12 108 10 Energy Efficient 1st Mortgage (EEM) 12 116 9 Home energy efficient heating/cooling systems 11 109 9 Home solar electric systems 10 108 9 Home geothermal systems 4 114 3 Home wind energy systems 3 115 3 Home water conservation improvements 2 115 2 Business energy efficiency improvements, solar or wind improvements 2 115 2 14 Figure 8: Asset Size of Green Lenders Asset range Number of respondents Percentage of respondents <$25M 1 3 $25M–$50M 1 3 $50M–$100M 8 21 $100M–$500M 12 32 $500M–$1B 6 16 >$1B 10 26 Total 38 100 Fuel Efficient and/or Electric Vehicle Loans Loans for fuel efficient and/or electric vehicles are the green products most frequently offered by responding credit unions. This is not necessarily surprising given the importance of vehicle lending to credit unions overall. In 2010, more than 95% of all US credit unions made new and used vehicle loans, which accounted for 22.5% of the total dollar amount lent by all US credit unions for any purpose. All of the 144 credit unions that began the survey responded to the question, Do you offer/market loan products specifically for fuel efficient or electric vehicles? Thirty-three percent responded yes. Among the respondents, non–community credit unions are more likely to offer green vehicle loan products (30%) than communityIn no cases did any respondents indicate that they used any chartered credit unions (20%). special underwriting factors in analyzing whether to approve Of the 144 that responded to the green vehicle loans, and in all cases the green vehicle loans this question, only 111 comwere kept in the credit unions’ portfolios and not sold. pleted the credit union asset size demographics question. Among these 111, the “yes” responses (i.e., they offer green vehicle loans) dropped from 33% to about 26%. Except for those in the smallest asset size category, the percentage of credit unions offering green vehicle loans is fairly consistent across asset groups (20%–30%). Figure 9: Credit Unions Offering Green Vehicle Loans by Asset Category Asset range Yes No 5 0 0.0 $25M–$50M 4 1 20.0 $50M–$100M 14 6 30.0 $100M–$500M 30 10 25.0 $500M–$1B 15 5 25.0 <$25M % Yes >$1B 15 6 28.6 Total 83 28 25.2 Of the 48 credit unions that said they offer a green vehicle loan product, 30 responded to the follow-up question, Does your credit union offer its members any special subsidies or assistance in connection with this loan product? Twenty-nine of the 30 indicated that they offer interest rate discounts for green vehicle loans. The one credit union that does not offer an interest rate discount noted that a utility rate rebate is offered through a partnership that it had established. In another instance, one credit union responded that it plants a tree for each green vehicle loan made. In no cases did any respondents indicate that they used any special underwriting factors in analyzing whether to approve the green vehicle loans, and in all cases the green vehicle loans were kept in the credit unions’ portfolios and not sold. Rather than asking whether these credit unions offer their green vehicle loans in partnership with a third-party organization, the 15 Figure 10: Types of Partners in Offering Green Vehicle Loans Number Percentage Other financial institutions Partner 0 0 Local government 1 9 State government 0 0 Federal government 0 0 Utility company 3 27 Dealer or vendor 7 64 Nonprofit organization 3 27 Select employee group 1 9 survey instead asked respondents to identify the types of organizations with which they partner in offering the product. Only 11 of the credit unions indicated the types of organizations with which they partnered. Since 32 credit unions answered the other detailed questions, presumably the other 21 (66%) offer the green vehicle loans without partners. Of the nine credit unions that responded whether their partners provide any assistance in connection with these green vehicle loans, all nine indicated that their partners provide marketing assistance. Other types of assistance from partners include: • Interest rate discount (1). • Loan loss reserve subsidy (1). • Rebate (1). In the survey, 29 of the 32 respondents said that their green vehicle loan programs are profitable. Two responded that they are not sure, and one indicated that the green vehicle loans are not profitable. However, the one credit union provided contact information and stated during a follow-up interview that its green vehicle Despite the business success that each of these three is achievloans are profitable (just not as ing through a green lending focus, senior management stressed much as other loan products or in each interview that the impetus for the credit unions’ green car loans that do not receive the lending orientation was not strictly (or even primarily) driven interest rate discount). by a desire to generate new business. As noted earlier, 20 of the credit unions that responded to the survey provided contact information from which it was possible to examine their individual quarterly call report submissions. Nine of these credit unions offer green vehicle loans. Data on those credit unions are shown in Figure 11. Figure 11 demonstrates that even among those credit unions that offer green vehicle loans, this loan product accounts for only a small portion of their overall vehicle lending. Nevertheless, in three of the nine cases, green vehicle loans account for at least 3% of the total amount of funds lent for vehicles. Interestingly, these three credit unions cover a broad asset size spectrum. In the case of Credit Union A, with assets of $25M and about 600 vehicle loans in 2010, it is clear that a relatively small number of green vehicle loans can quickly change its share of the total. However, Credit Union I has aggressively priced its green vehicle loans and is achieving a much higher penetration of its overall vehicle lending than its greater-than-onebillion-in-assets peers. Credit Union C’s assets fall in between these 16 Figure 11: Green Vehicle Loans as a Percentage of Overall Vehicle Lending Assets # green loans made Amount of green loans made (2010) Total # vehicle loans Percent # green loans to total loans Percent $ green loans to total loans A 24,984,273 26–50 $100,001– $500,000 603 5,438,625 4.31–8.29 6.78–33.89 B 102,937,198 6–10 $100,001– $500,000 1,878 21,000,763 0.32–0.53 1.36–6.78 C* 327,855,630 151 $1,750,477 3,301 24,342,581 4.57 7.19 D 344,308,723 51–100 $500,001– $1,000,000 8,356 77,639,230 0.61–1.20 3.87–7.73 E 854,111,237 26–50 $100,001– $500,000 7,130 74,090,968 0.36–0.70 0.47–2.37 F 1,444,690,313 51–100 $1,000,001– $5,000,000 24,067 289,492,430 0.21–0.42 0.85–4.23 G 1,783,385,449 51–100 $500,001– $1,000,000 39,498 398,834,674 0.13–0.25 0.42–0.83 H 2,034,668,704 26–50 $100,001– $500,000 12,148 139,405,813 0.21–0.41 0.09–0.44 I** 21,463,166,674 >500 $10,000,001– $50,000,000 127,259 1,144,149,046 2.00 3.00 Credit union Total $ vehicle loans * 2010 data provided by credit union ** 3-year aggregate data provided by credit union two extremes, and more than 7% of its total vehicle loan dollar amount is accounted for by its green auto loan program. In a marketplace characterized by stiff competition for vehicle lending, this accomplishment is not insignificant. During the course of the research for this project, telephone interviews with senior staff were held with a subset of the credit unions that responded to the survey, including Credit Unions A, C, and I. After these interviews, and after examining the website of each credit union, it became clear that they all embrace green lending across a range of loan products and are actively marketing a suite of green loan products to both current and potential members. Despite the business success each of these three is achieving through a green lending focus, senior management stressed in each interview that the impetus for the credit union’s green lending orientation was not strictly (or even primarily) driven by a desire to generate new business. Instead, in the interviews they raised topics of environmental sustainability and of enhancing the financial ability of their members to make environmentally friendly product decisions. For example, one credit union (with no ties to the automotive industry) initially offered interest rate discounts for the financing of alternative fuel vehicles (primarily ethanol-based). But once the credit union realized that very few service stations in its market area offered alternative fuels, it shifted its focus to hybrid vehicles. Recognizing 17 that hybrid vehicles can be more expensive to purchase than comparable nonhybrid models, the credit union offered an aggressive 1% interest rate reduction (compared to its already-low interest rates for traditional vehicle loans) in order to make it financially easier for its members to purchase the hybrid models. In this case, the determination on how large of an interest rate discount to offer was based on an analysis of the economic factors needed to encourage more members to purchase hybrid vehicles, rather than on the amount of interest rate discount necessary to attract borrowers who had already decided to purchase a hybrid vehicle. This focus on making an environmental difference through its green vehicle loan program was raised by another credit union in its description of the internal difficulty it had encountered in defining the types of incentives it would offer its members to purchase a green vehicle. In this case, the credit union staff were skeptical that a 25–50 basis point reduction on the loan’s interest rate would really change the members’ decisions on the type of automobile to purchase. While they anticipated that such a discount would differentiate the credit union within its market area and generate additional loan volume, this approach was shelved because it was not perceived as likely to change the purchasing decisions of its members. Some credit unions raised concerns that senior management’s interest in offering green loan products was unclear or questionable. In these cases, the question of whether to offer a green vehicle loan was being approached from a purely financial earnings perspective. Staff felt the need to present management with an analysis of why forgoing a certain amount of interest income (if rate discounts were offered) could reasonably be expected to be offset by increased earnings from greater vehicle loan volume. In these instances, there was interest in whether a green vehicle loan program would help differentiate the credit union from other vehicle lenders in their market areas and drive up overall lending volume. In addition, there was interest in whether the characteristics of green borrowers might improve the performance of green vehicle loans held on the credit union’s books. Energy Efficient 1st Mortgages Of the 144 credit unions that started the survey, 128 (89%) responded to the question, Do you offer/market loan products specifically for Energy Efficient 1st Mortgages—EEMs (i.e., products offered by FHA, Fannie Mae, or Freddie Mac)? Among these, 12 (9%) said they offer EEMs. Each of the originated EEMs was secured by the property. Several of the responding credit unions indicated that they provide some form of subsidy or assistance in connection with their EEMs. One 18 answered that interest rate discounts are offered, and two said they apply special underwriting criteria for these loans. In three cases, reductions in origination or closing costs were provided by the credit union. Only one credit union indicated that it offers its EEMs in partnership with a third party. In this case, the partner is a vendor that offers an interest rate subsidy in connection with the loans. Unlike other green loan products tested in the survey, EEMs originated by the credit unions were not held in their own portfolios; 75% said they sold the mortgages on a whole-loan basis. Additionally, 7 of the 8 respondents said their EEM originations are profitable, while one was unsure. In a telephone interview with one of the credit unions offering EEMs, a senior staff member stated that the credit union had initially decided to offer the product in an effort to encourage area homebuilders to adopt EnergySTAR or Leadership in Energy and Environmental Design (LEED) certification standards into their construction. In the four years Even before the recent decline in real estate values, many that the loan has been offered, homebuilders were reluctant to build homes to the Energy the credit union has originated Efficient Mortgage standards because they believed it would 107 such loans, with balances of increase the property’s initial build-out cost. about $26.6M. This represents a very small share of this credit union’s 1st mortgage business (0.18% of all 1st mortgage originations over these four years, and 0.25% of its 1st mortgage balances outstanding). While the credit union does not have specific numerical goals in its business plan for its EEMs, two senior staff officials expressed disappointment that homebuilders have not been more active in building homes to the standards required for members to be eligible for the credit union’s EEM. They indicated that even before the recent decline in real estate values, homebuilders were reluctant to build homes to the necessary standards because the homebuilders believed this would increase the property’s initial build-out cost. Home Energy Efficiency Improvements Home improvement loans are a common credit union product. Depending on the amount borrowed, these loans may be offered on a secured or an unsecured basis. For the purposes of this research, the focus was on home improvement loans that were specifically focused on green purposes. The survey asked credit unions whether they offered or marketed loans for several kinds of residential energy efficiency improvements, including: 19 Loans for energy efficient windows were the most commonly identified of the home energy efficiency improvements, and heating/cooling systems were the least frequently offered product. • Energy efficient windows. • EnergySTAR appliances. • Energy efficient heating/ cooling systems. • Insulation/Weatherization. Of the 127 credits unions that responded, 22 (17%) said they offer at least one of the four products. As noted earlier, 61 credit unions responded that they offer at least one of the 12 green products tested in the survey. Of this group, 36% said they offer at least one of the home energy efficiency Most of these credit unions offer interest rate discounts as part loan products. of their green home energy efficiency improvement loans. The Energy efficient windows were interest rate reductions are typically 0.25% below the rate for a the most commonly identified non-green-focused loan. of the home energy efficiency improvements, and heating/ cooling systems were the least frequently offered product; however, there is only limited variation in the frequency of offering the four product types. Specific results are shown in Figure 12. Many of the credit unions that have home energy efficiency improvement loan products offer them as unsecured loans (75%–80%). In fact, 33%–42% offer these only as unsecured loans. In most instances, these credit unions have set caps on the maximum amount Figure 12: Type of Green Home Improvement Loan Offered % yes of 1+ green product (61) % yes of 1+ home energy efficiency product (22) 28 77 # yes # no % yes of all response (127) Energy efficient windows 17 110 13 EnergySTAR appliances 13 110 11 21 59 Energy efficient heating/cooling systems 11 109 9 18 50 Insulation or weatherization 12 109 10 20 55 Offered product Figure 13: Secured versus Unsecured Loans # offering # only unsecured % only unsecured # only home equity seecured Energy efficient windows 14 5 36 2 1 6 11 79 EnergySTAR appliances 12 5 42 1 2 4 9 75 Energy efficient heating/ cooling systems 12 4 33 2 1 5 9 75 Insulation or weatherization 10 4 40 1 1 4 8 80 Offered product 20 # only other secured # both secured and unsecured # with unsecured option % with unsecured option that can be lent under these special programs (typically either $10,000 or $20,000). As seen in Figure 14, most of these credit unions offer interest rate discounts as part of their green home energy efficiency improvement loans. The interest rate reductions are typically 0.25% Figure 14: Interest Rate Discounts below the rate for a non-green-focused loan. One Offered respondent noted that its secured green home improvement loans allow loan-to-value (LTV) ratios of up to Offered product Percentage 100%, letting homeowners finance the full cost of the Energy efficient windows 91 improvement (in this case the loans were home equity EnergySTAR appliances 83 secured). Energy efficient heating/cooling systems 75 Insulation or weatherization 92 The survey asked credit unions that responded that they offered each green loan product to identify any third-party partnerships in which they were engaged in offering the loans. Ten of the respondents said they had partners for their loans for energy efficient heating/cooling systems. Four identified utility companies as their partners for these loans, and three identified vendors. Utility company partnerships were the most frequently identified overall for the credit unions’ home energy efficiency loan products; utility companies were named as the partner in four instances for energy efficient windows, two times for EnergySTAR appliances, and two times for insulation and weatherization loans. Several partnerships with local government, state government, nonprofits, and vendors were also identified in the survey. Responding credit unions were also asked whether their partners offered any assistance or subsidy in connection with these home energy efficiency loans. Marketing assistance was the most frequently identified and was noted by some credit unions for each of the four tested loan products. Three credit unions said that their partners in offering energy efficient heating/cooling systems provided interest rate subsidies, and three responded that interest rate subsidies were provided by their partners for the energy efficient window loans. No credit union responded that its partners provided loan loss reserve subsidies in connection with any of the home energy efficiency improvement loan products. None of the responding credit unions indicated that they have made a large number of any of the four home energy efficiency improvement loan products. All of the responding credit unions said they held all of these loans in their own portfolios and did not sell them. In addition, most credit unions responded that the loans were profitable, but a few credit unions were unsure of the loans’ profitability. 21 Home Alternative Energy Improvements The survey asked credit unions whether they offered or marketed loans for several different kinds of residential energy efficiency improvements, including: • Solar hot water systems. • Solar electric systems. • Geothermal systems. • Wind energy systems. Of the 120 credits unions that responded, 15 (11%) said they offer at least one of the four products. As noted earlier, 61 credit unions responded that they offer at least 1 of the 12 green products tested in the survey. Of this group, 25% said they offer at least one of the home energy efficiency loan products. As shown in Figure 15, credit union respondents are more likely to offer loans for solar hot water or solar electric systems than for geothermal or wind energy systems. All but one of the credit unions that offer home alternative energy loans offer an interest rate discount as an incentive. In two cases (including the one credit union that does not offer interest rate discounts), the credit unions offer special underwriting criteria such as 100% LTV on home equity–secured loans. In addition, as shown in Figure 16, credit unions used partners to assist with the marketing of these products. Figure 15: Home Alternative Energy Loan Product Offered Offered product % yes of all responses % yes of 1+ green product # yes # no Solar hot water systems 12 108 10 20 Solar electric systems 10 108 8 16 Geothermal systems 4 114 3 7 Wind energy systems 3 115 3 5 Figure 16: Types of Assistance Offered by Partners Assitance offered by partners Solar water Solar electric Geothermal Wind electric Interest rate subsidy 4 2 1 0 Loan loss reserve subsidy 1 0 0 0 Vendor discount 1 1 0 0 Marketing assistance 2 3 1 1 # responses 7 4 2 1 22 Other Green Loan Products In addition to the green loan products discussed above, the survey asked about two other environmentally focused categories: • Loans specifically for home water-conservation improvements. • Loans specifically for business energy efficiency improvements, or solar or wind energy improvements. Two credit unions indicated that they offer/market waterconservation loans (115 responded that they do not). Both credit unions offer the loans on a secured basis, and one of the credit unions also offers these loans on an unsecured basis. Only one of the two credit unions provided additional information about its experience with this product. In this instance, the credit union reported that it had made between 1 and 5 water-conservation loans in 2010 and that the aggregate dollar amount of the loan(s) was less than $50,000. No special underwriting was used in conjunction with this product, but an interest rate discount was offered. The credit union did not identify any partners with whom the product was offered. The loan(s) was kept in the credit union’s portfolio, and the credit union reported that it was profitable. Two credit unions said they offer/market loans specifically for business energy efficiency improvements, or solar or wind energy improvements (115 responded that they do not). Both indicated that they offer these loans on a secured basis, and one of these also offers this loan on an unsecured basis. One credit union indicated that it had made between 1 and 5 of these loans in 2010; the other reported making between 6 and 10 of these loans. Each said that the aggregate dollar amount of the loans was between $100,000 and $500,000. Each of the credit unions offering the green business loans said they did so with a vendor partner that offered only marketing assistance. Both also reported that they used special underwriting criteria in conjunction with the loans, and one also offered an interest rate discount. Each said they made the loans “wholly in-house” and not in conjunction with a credit union service organization (CUSO) or other third-party entity. The loans were not guaranteed by the Small Business Administration (SBA), and they were held in the credit unions’ portfolios. Finally, one credit union reported that the loans were profitable; the other respondent was not sure whether the loans were profitable. 23 Green Deposit Products/Services Figure 17: Market Electronic Services as Green Number Percentage Yes 81 74 No 23 21 N/A 5 5 The survey also asked credit unions, Do you market/promote electronic services (e-statements, electronic account information/transactions, etc.) as green? As shown in Figure 17, of the 109 credit unions that responded, 74% answered yes. In interviews with several of the credit unions it was mentioned that marketing their electronic deposit services as green was seen as the first step in exploring options to offer green-focused loan products. Interviewees also recognized that encouraging greater member adoption of electronic services can result in important operational cost reductions for the credit unions themselves. 24 CHAPTER 3 From Deciding to Marketing CEOs, board members, and even rank-andfile members are behind the decision to begin offering green loans. Because the loan category is new and often unfamiliar, marketing approaches vary significantly among credit unions. Why Are Some Credit Unions Offering Green Loans? In addition to the survey described earlier, telephone interviews were conducted on a range of topics, including (when it applied) why credit unions were offering green loans. A range of responses were offered. Often, the convergence of several factors was mentioned. The following section outlines some of the primary impetuses for credit unions launching their green loan programs. Board Initiated In several cases, the initial impetus came from a member of the credit union’s board of directors. For example, at one credit union a board member was familiar with an area utility company that was interested in finding lending partners to promote residential energyconservation improvements. The board member raised the possibility with the credit union’s manager, and senior staff were directed to look into the utility’s program and evaluate whether there was an appropriate role for the credit union in focusing on residential energy efficiency loans. By expressing an interest in the general area, the board member catalyzed the necessary business assessment and an evaluation of whether a green lending focus would be beneficial to the members of the credit union. It was mentioned that some members of the staff had independently been contemplating the creation of a suite of green loans; however, the inquiry from the board member was seen as legitimizing a serious exploration of the options. In another instance, the board played a key role by adopting an environmental mission statement for the credit union. This action, while reportedly independent of any staff recommendation to this effect, was implemented at about the same time that the professional staff was developing ideas for offering a suite of green loan products. Approached by Third Parties In other cases the initial impetus came from the credit union’s CEO being contacted by outside parties. In one instance, the CEO of a 26 community credit union was approached by the county executive and asked to help in a program to finance energy efficiency improvements in older housing stock within the community. In other cases, the credit unions were contacted by representatives of important select employee groups within their FOMs. For example, one credit union was approached by city officials who were initiating a program to encourage the installation of solar panels on the homes of city employees. The credit union’s FOM included the city employees, and it agreed to provide financing with discounted interest rates. The credit union has since expanded its solar loan program to the employees of all of its select employee groups. Commitment to Sustainability and Environmental Concerns In another case, the credit union’s decision to offer green loans was piqued by an interest in issuing a Sustainability Report detailing its financial, environmental, and social impacts. It chose to prepare its report in accordance with the Global Reporting Initiative’s (GRI) G3 Sustainability Reporting Framework, which the credit union describes as “the world’s most used sustainability reporting framework, [which] provides a standardized approach to ensure we are meeting the highest degree of technical quality, credibility and relevance in our report.” Because one aspect of the GRI framework focuses on environmental impacts of organizations, the credit union initiated an internal review “to systematically identify, assess and reduce our environmental impacts.” As a starting point, the credit union “calculated an annual inventory of our carbon emissions. This allows us to understand where our emissions come from, develop reduction goals and to implement actions to better manage and reduce our climate impacts.” Through a series of facilities and workforce actions, over a three-year period the credit union reduced its overall carbon emissions by 13%. The credit union also calculated the greenhouse gas emissions generated from its auto and home loans. According to its 2009 Sustainability Report, the credit union is “currently developing such products to help our members make more sustainable choices and plans to introduce these loan options in 2010 and 2011.” Interestingly, when asked about these loan options earlier in 2011, the credit union indicated that it had not yet put them in place. The implementation of the loans had been delayed because the credit union was still attempting to identify the types of incentives or discounts that would motivate its members to make the most environmentally conscious selection. For example, would a 0.25%–0.50% interest rate reduction for the purchase of a hybrid vehicle really motivate the purchase of a hybrid or merely reward the member for a decision 27 already made? It will be interesting to see how the credit union answers this question. Another credit union that was an early adopter of a green lending focus was also motivated by its CEO to implement a suite of loans that would achieve an environmental result. In this case, alternative fuel and hybrid vehicles were the initial focus in the credit union’s green vehicle loan program. The credit union analyzed the higher purchase price for these vehicles and offered an extremely aggressive 1% interest rate reduction as a way to help its members afford the higher purchase price. It has since extended its green vehicle loan program to vehicles that achieve a minimum fuel economy rating. This same credit union also was aggressive in promoting loan programs to encourage greater residential energy efficiency. In addition to significant discounts in loan origination and closing costs for its EEM program, the credit While several of the credit unions identified growth opportuunion has established special nity potential associated with green lending, none had estabunderwriting criteria for energy lished specific green lending goals for their various products by efficient homes that extend which their success could be measured and marketing activities qualifying ratios. It has also proadjusted. moted its green first mortgages to homebuilders. Finally, for its secured energy efficiency home equity loans, the credit union allows up to 100% LTV in calculating qualifying amounts. Opportunity to Generate New Members and Business In yet another instance, one credit union’s CEO was seeking ways to differentiate the credit union from the other financial institutions in its highly competitive market area. There was a perception that the area’s population has a high degree of environmental consciousness and that offering a suite of green products would appeal to many of these people and help elevate the credit union’s positive name recognition. The CEO reported that the strategy has been successful and has been the source of important loan growth to the relatively small credit union. While several of the credit unions identified growth opportunity potential associated with green lending, none had established specific green lending goals for their various products by which their success could be measured and marketing activities adjusted. Green Loans Seen as Good for Members Another credit union stressed that it had concluded that green loans are often good for the financial health of its members, and this was a key motivator in making these products available. It was noted that 28 driving more fuel efficient vehicles and lowering monthly home utility bills can increase members’ disposable incomes. In another case, a senior staff member initiated a brainstorming session at the credit union to try to identify new opportunities to serve its members. It was suggested that at a time of rising energy prices, the credit union could assist its members by offering interest rate discounts for the purchase of more fuel efficient vehicles or to make home improvements that would help lower utility bills. It was reported that these loan products were developed and have been well received by the members. Not all green lending programs have been internally initiated. Several credit unions replied that credit union members themselves contacted them to inquire whether any special incentives were offered for green-focused loans, and to encourage the credit union to become involved in this type of lending. Marketing Green Loans The survey also asked credit unions whether their operating systems allow them to segregate and track the performance of their green loan products. Of the 103 that responded, only 39 (38%) said yes. However, given that many of the credit unions that responded to this question indicated that they do not offer any green loan products, a more useful approach is to analyze the answers of only those with a green loan product. In this case, 38 (62%) of the 61 credit unions responded that their operating systems allow them to segregate and track the performance of their green loan products. In telephone interviews, a couple of credit unions indicated that they periodically gather these data manually from their operating systems, but the volume of these loans has been so low that the systems have not been set up to generate this information automatically. Two credit unions stated that they had manually gathered information on the volume of their green lending for the first time in order Figure 18: Green Loan Marketing to respond to the survey’s questions. Tool Use Marketing tool The survey asked respondents whether they used several different, specific tools to market their green loan products; the results are reported in Figure 18. % green loan responders Website 84 Statement inserts 59 Print advertisement 59 Radio/TV advertisement 13 Through third-party partners 31 Vendors’ stores/websites 16 # responders 100 As can be seen in Figure 18, 84% of the credit unions that responded they offered at least one of the tested green loan products said that they marketed the green loan product on their own website. Also of interest is the relatively small number of credit unions that market their green product on radio or television. This could reflect the fact that credit unions may simply not advertise at all on radio or television 29 because of its cost. However, as seen in Figure 19, there was no relationship between the asset size of responding credit unions and the fact that they advertise on radio or television. Marketing the green loan products at vendors’ stores or on In the earlier discussion of the websites was also seen as effective by those credit unions to individual green loan products, which this was applicable. it was noted that a number of credit unions have entered into different types of partnerships with third-party organizations in connection with some of these loans. Marketing assistance by the partners for the credit unions’ green loan products was the most frequently mentioned type of assistance provided. As can be seen in Figure 19, responding credit unions view this as their single most effective marketing tool for the product. Figure 19: Perceived Effectiveness of Marketing Tools for Green Loans # least effective % least effective # somewhat effective % somewhat effective # most effective % most effective Website 0 0 20 74 7 26 Statement inserts 1 6 14 78 3 17 Print advertisement 1 6 14 82 2 12 Radio/TV advertisement 3 75 1 25 0 0 Through third-party partners 0 0 3 38 5 63 Vendors’ stores/websites 0 0 3 60 2 40 Marketing tool 30 CHAPTER 4 Partnerships and Profitability Partnerships with local government or nonprofit organizations often provide impetus and support for green lending. But fully two-thirds of the surveyed credit unions offer the loans without outside help. Nearly all respondent credit unions reported that their green loans are profitable. A recurring finding throughout the survey is that credit unions offering green loan products view them as profitable. Since normal loan underwriting criteria and processes were typically used in the underwriting of green loan applications (i.e., those employed to approve comparable loans for non-green purposes), this finding of profitability is not in itself surprising. However, this perception of profitability is unchanged in those cases in which interest rate discounts were offered (thus reducing the potential profitability). During several interviews the question of special underwriting criteria was explored. While several credit unions indicated that they had internally discussed the possibility of adjusting required debt-toincome ratios or other ratios to take into consideration the likelihood that disposable incomes may increase for members who purchase more fuel efficient vehicles (i.e., lower monthly gasoline costs) or make energy efficiency improveOne credit union said that when a member applies for a green ments to their homes (i.e., lower home energy efficiency improvement loan, the credit union is monthly utility bills), in the often also able to generate an application to refinance a vehicle overwhelming majority of cases loan originally made by another financial institution (whether (in several instances, in every or not the vehicle is green). case), none of the applicants needed any special underwriting adjustments to qualify for the loans. In fact, it was repeatedly noted that the green loan applicants were financially sound and had strong credit scores. One credit union observed that only one application for any of its several green loan products had been denied using its standard underwriting criteria (and in that one case, the loan was denied because the applicant was not in the credit union’s FOM). Several credit unions reported that they had not fully anticipated this characteristic of green borrowers. In retrospect, they speculated that people interested in borrowing for green purposes were typically those that were already financially conscious and responsible. The credit unions also reported that the ongoing performance of the loans was extremely strong with few, if any, delinquencies. The fact 32 that individuals who are motivated to borrow for green purposes also turn out to be a highly desirable class of borrowers to lenders (regardless of the type of loan) may be one of the most important findings of this study. Several of the credit unions also reported in the interviews that offering a suite of green loan products has helped differentiate them from other lenders in their market areas and has generated both new membership growth and new loans to existing members. As a result, the minor loss of interest income on individual green loans (when green discounts were offered) was more than offset through increased loan volume. In addition, some interviewees noted they are achieving some success in cross-selling additional loan products. For example, one credit union said that when a member applies for a green home energy efficiency improvement loan, the credit union is often also able to generate an application to refinance a vehicle loan originally made by another financial institution (whether or not the vehicle is green). Partnerships Generate Loan and Membership Growth As noted in the analyses of the individual products tested in the survey, 61 credit unions responded that they offer at least one green loan. Of these, 23 (38%) had established partnerships with one or more third-party organizations in connection with these loans. The most frequently identified partnerships were with utility companies, vendors, and nonprofit organizations. Local government programs were named in nine instances, and state government programs were identified in five instances. While interest rate subsidies were provided in some cases, the most common form of assistance credit unions named was marketing assistance. One partnership with a state-created nonprofit was initially implemented as a 3.5% interest rate buy-down program. When this program was combined with a 5% interest rate reduction provided by a program offered by the credit union’s electric co-op partner, the credit union was able to offer interest-free loans for qualifying home improvements. This resulted in 95 loans aggregating about $800,000 (averaging over $8,400 per loan). In some cases credit unions have entered into more than one partnership in offering their green loan products. For example, one interviewed credit union has three different partners: a state-created nonprofit corporation in which all state utilities participate to support energy efficiency improvements, an individual electric co-op, and a traditional nonprofit organization. The partnership with the 33 state-created nonprofit was initially implemented as a 3.5% interest rate buy-down program. When this program was combined with a 5% interest rate reduction provided by a program offered by the credit union’s electric co-op partner, the credit union was able to offer interest-free loans for qualifying home improvements. This resulted in 95 loans aggregating about $800,000 (averaging over $8,400 per loan). The program offered by the state-created nonprofit shifted away from the interest rate buy-down approach and replaced it with cash credits of up to $2,500 on the costs associated with qualifying improvements. The credit union reported this resulted in a decline in the overall demand for the loans. This credit union has established a partnership with a traditional nonprofit organization to assist its members in financing improvements to their homes. Under this partnership, the credit union offers a 1% interest rate discount for all unsecured EnergySTAR appliance loans, and for the costs of installing solar systems the credit union discounts the interest rate by 0.25% (compared to its regular home equity loan rates) and has zero closing costs. Under each program, interested borrowers are referred to the credit union, and it handles all aspects of the loan application, underwriting, closing, and servicing. The credit union said that in addition to generating new loans, the partnerships have also brought new members to the credit union. In another example of these partnerships, one of the credit unions reported that it works with a consortium of utility companies in conjunction with a state agency. Under the program, homeowners can receive home energy One credit union CEO observed that the types of partnerships audits and recommendations that are possible with green lending programs are a good match on home improvements. The for credit unions with community FOMs. program allows participating financial institutions to make interest-free loans for these improvements. Specifically, the present value of the interest payments is calculated as if the loan has gone to maturity, and the program pays this amount to the credit union up front when the loan closes. The credit union reported that this has resulted in both loan growth and new member growth. In yet another example, a small credit union has partnered with a local utility company to offer home energy-saving loans. Under the program, a home energy audit is conducted for $50 and recommendations are made for energy-saving improvements. A coupon for a loan from the credit union for these improvements is also provided to the homeowner. The utility provides a loan loss reserve subsidy to the credit union in connection with these loans. The financing offered by the credit union is unsecured loans. The credit union reported that the partnership has been in operation for less than a 34 year and has already generated about $200,000 in loans (an average of three new loans per month). While this may seem a small amount, it represents 39% of the credit union’s total non–credit card, unsecured loans in 2010. The CEO reported that in addition to the loan growth, this program has generated new member growth for the credit union. The CEO also reported that the credit union is currently organizing a partnership program with area home improvement contractors and vendors to generate additional loan growth. One credit union CEO observed that the types of partnerships that are possible with green lending programs are a good match for credit unions with community FOMs. This CEO stated that the credit union became involved when it was approached by the local county executive to assist in a new program to help finance energy efficiency retrofits in an area with older housing stock with poor insulation and aging heating systems. Beyond the considerations of structuring a program that was financially sound and good for the borrowers, the CEO noted that the program has provided opportunities to work with the local utility company, a nonprofit organization, and local home improvement contractors. In addition, the local media have taken a strong interest in the project. All of these factors led to the creation of a stronger program supported by multiple local organizations. These factors provided the credit union with an opportunity to further strengthen its ties to the community while conducting sound business. The credit union’s initial program was offering home equity–based loans for residential energy efficiency improvements predicated on the recommendations of a home energy audit provided by a local nonprofit organization. The CEO noted that because area home values had declined as a result of problems in the broader national real estate market, the credit union has more recently begun to offer unsecured loans for residential energy efficiency improvements. Similar to the results of other credit unions interviewed in this study, the performance of both the secured loans and the unsecured loans has been strong, and the CEO speculated that lending for green purposes appears to attract borrowers with stronger credit histories. One final observation is that in the time since the onset of the program, the local utility has been purchased by a large national and international energy company. This has led the credit union CEO to believe that the local utility’s interest in the project has diminished somewhat. The financial incentives provided by the utility have been reduced, and it was speculated that this may be related to the utility becoming less community-focused. Nevertheless, the need to defer the construction of new generation facilities and the ongoing interest of the state’s public utility commission have resulted in continuing support from the utility. It was speculated that with anticipated 35 increases in the costs of energy generation, the utility will continue to look for ways to encourage conservation. All of the credit unions described above have indicated they are pleased with the partnerships; however, others have experienced difficulties in establishing them. For example, one large credit union reported that it is exploring entering into such a partnership with nonprofit organizations or county partnerships to launch a green loan program, with the possibility of the partners providing interest rate buy-downs or loan loss reserve subsidies. The credit union responded to a request for proposal (RFP) from a nonprofit for a home energy efficiency program but was not selected. It has since responded to an RFP from a county program but does not yet know the outcome of that proposal. In another case, a credit union reported that it had been approached about the possibility of entering into a partnership to offer home energy-saving loans; however, it chose not to pursue the opportunity because its occupation-based FOM would make managing the process more difficult due to the expected inflow of applications from individuals not eligible to join the credit union. While it was noted that the credit union could refer these people to other financial institutions participating with the prospective partner, the credit union was not comfortable making such referrals to lenders offering terms over which it had no control. The FOM issue was addressed by another credit union whose primary select employee group is employees of a pharmaceutical company. In this case, the credit union entered into a partnership with a sponsor in which the sponsor subsidizes loans to its employees as part of its efforts to promote healthy lifestyles among its employees. 36 CHAPTER 5 Public Policy Conclusions and Recommendations The strong performance of credit union green loans indicates that credit unions can be excellent partners in public lending initiatives. It also means that credit unions, even absent outside support, should strongly consider green lending programs as a profitable part of their loan portfolio and a competitive differentiator. Since at least the 1973–1974 Arab Oil Embargo, the US government has adopted various programs designed to promote energy efficiency. These programs have been motivated by several policy objectives, such as reducing dependence on foreign energy sources, reducing greenhouse gas emissions, assisting low-income households, and stimulating job creation. Recurring themes in these policies have been finding ways to educate homeowners about the benefits associated with energy efficiency and finding ways to make energy efficiency improvements more affordable. Examples include various tax incentives, programs to assist low-income people in weatherizing their homes, the creation of new financing entities (such as revolving loan funds, PACE programs, and Energy Efficient Mortgages), and the development of energy-use ratings such as the Environmental Protection Agency’s (EPA) Energy Start program. More recently, the Federal Housing Administration (FHA) launched a Power Saver Loan pilot program to facilitate the creation of a mainstream mortgage product for home energy retrofits.8 Under the pilot program, approved lenders can offer home equity–secured loans of up to $25,000, with up to 100% LTV for alterations, repairs, and site improvements on single-family homes. FHA insures the lender against loan losses for up to 90% of the value of the loan. In addition, approved lenders are eligible for federal grants for the costs of staffing and systems, marketing, underwriting, and servicing associated with providing these loans. Key objectives are to lower risks and costs to lenders in order to stimulate new lending, and to lower interest rates to borrowers. The program is based on the earlier-described assumption that there is a lack of credit at affordable rates for home energy-saving improvements. However, as shown in Figure 20, the results of the research on credit union green lending described in this report raise questions about this and other assumptions upon which the Power Saver Loan pilot is based. A key finding of this research for policymakers is that prior to launching new initiatives, a careful analysis of existing activity is 38 Figure 20: Comparison of Credit Union Energy Efficiency Loans and FHA’s Power Saver Pilot Credit union project research FHA PowerSaver Unsecured loan limit $7,500 Typically $10,000–$20,000 Secured loan limit $25,000 Typically $25,000–$50,000 Maximum term 15 years 10–20 years Additional borrower fees 1% of loan times # years None Interest rate discount Permitted use of grant $ Typically 0.25%–0.5% FHA-approved lenders Yes No Lender risk mitigation 90% FHA insurance Little/no delinquencies Minimum credit score 660 FICO No set minimum Energy audit required No Audit required for some credit union programs needed. In addition, discussions should be held with lenders to better assess what motivates decisions to develop energy efficiency loan programs and to get their view of where market barriers may exist. No such analysis or discussions were identified in the background research associated with this project. This study found that credit union green lending is profitable, with strong performing loans and few delinquencies. Therefore, it is unclear that reducing loan performance risk needs to be a major focus of government programs; however, sharing this type of information with financial institutions may be very effective in catalyzing greater lending. A study comparing the sales price difference for homes with certified energy-performance ratings found that “certified homes in the Seattle metro area sold at a price premium of 9.6% when compared to noncertified counterparts. . . . In the Portland metro area, certified homes sold at a price premium ranging between 3% and 5%. In addition, the certified homes stayed on the market for 18 days less than noncertified homes.” The research associated with this project also identified some important factors that credit unions and other lenders should incorporate into their marketing campaigns for residential energy efficiency loan programs. While the savings homeowners might realize in their monthly utility bills may be less than the monthly costs they might incur in borrowing funds to make the improvements, the economic benefits to the homeowner in making energy efficiency improvements may be much greater than can be measured solely against their monthly energy bills. “Evidence suggests that green home owners expect a market premium, as 73 percent of green homeowners report 39 their expectation of a higher resale value as an important factor during their purchase process.”9 Another analysis found that this expectation may be well founded in at least some real estate markets. A study comparing the sales price difference for homes with certified energy-performance ratings found that “certified homes in the Seattle metro area sold at a price premium of 9.6% when compared to noncertified counterparts. . . . In the Portland metro area, certified homes sold at a price premium ranging between 3% and 5%. In addition, the certified homes stayed on the market for 18 days less than noncertified homes.”10 The possibility that home energy efficiency improvements may result in higher home resale values can have a significant effect on the way homeowners view the economics associated with borrowing funds to make these investments. Understanding this potential can also greatly expand homeowner interest in obtaining the energy audits and the certification for the property. This will allow real estate agents to promote the energy-saving investments that homeowners have made and reinforce consumers’ understanding of the economic benefits of increasing energy efficiency. This information can also provide an important focus for financial institutions to market their products for home energy-improvement financing. Conclusions More and more credit unions are discovering that lending for green purposes is not only the right thing to do but also the smart thing to do. It is good business in its own right. The loans are profitable; they attract financially strong borrowers, spur membership growth, and lead to new growth in solidly performing loans on the balance sheet. A growing number of credit unions are offering loans to their members that are specifically focused on helping them make energysaving improvements to homes, businesses, and transportation. In some cases these green loan Credit unions interviewed also consistently observed that in programs have been motivated many instances there were no delinquencies for any green by a concern for the environloans. As it turns out, green loan borrowers are an extremely ment, and in others the focus attractive customer profile for these lenders. has been on helping members or increasing loan applications and spurring new membership growth. In nearly every instance, the credit unions have reported that their green loan programs have been profitable. The only ones that did not affirmatively say the green loans were profitable were those that had not yet conducted the necessary analysis. 40 By and large, credit unions offering green loan products reported that they were not using any special underwriting criteria in connection with reviewing loan applications. In a couple of cases, higher debt-to-income ratios were available in connection with first and second mortgage loans; however, credit unions repeatedly noted during the study’s interviews that special underwriting criteria were unnecessary because of the high credit scores of the applicants for the green loans. In one case, a credit union said that the only applications they had to decline using traditional underwriting were from applicants who were not in the credit union’s FOM and thus were ineligible to join the credit union. Credit unions interviewed also consistently observed that in many instances there were no delinquencies for any green loans. As it turns out, green loan borrowers are an extremely attractive customer profile for these lenders. Beyond the positive personal financial profiles of the borrowers, several of the credit unions also noted that most of their green loan borrowers are in the 20–40 years of age demographic, which they view Some smaller credit unions view these products as important in as extremely important for the differentiating them from other financial institutions in their future of the credit union. markets and helping them generate important new member More than one-third of the growth and additional loan demand. credit unions that offer at least one of the tested green loan products said they had entered into partnerships with third-party organizations. Each interviewed credit union that had a partnership felt that it was helpful, regardless of the type of assistance provided, and recommended that others considering green loan products explore these opportunities. Nevertheless, the fact that nearly two-thirds of the credit unions offering green loan products did so without entering into partnerships and still reported that their green loans were profitable suggests that partnerships are not a precondition for successful programs. While it appears from the survey that credit unions with assets of $50M or higher are more likely than smaller credit unions to offer green loan products, the survey and the subsequent interviews found that credit unions of all sizes can have success implementing green loan programs. Indeed, some smaller credit unions view these products as important in differentiating them from other financial institutions in their markets and helping them generate important new member growth and additional loan demand. Many credit unions offer green loans on an unsecured basis with borrowing limits of $10,000–$20,000. These loans avoid the problem in many parts of the country of declining home values and limited home equity to secure the loans. 41 Very few of the participating credit unions indicated that they offered or marketed loans for energy efficiency improvements or alternative energy improvements to small businesses. Looking forward, this may be an area in which credit unions can identify new lending opportunities. This may also be an appropriate type of loan in which underwriting criteria might recognize the cost-avoidance aspects of loans that are made by lowering the operating expenses of the businesses through savings on utility bills. Many of the credit unions that responded that they do not currently offer specific green loan products to their members do market their electronic services (such as Internet banking, bill payment, and e-statements) to their members as “green.” Many of these credit unions have recognized that electronic services can significantly reduce their own operating expenses and have been active in encouraging adoption by their members. Moving forward, credit unions should explore “going green” not just as a cost-cutting strategy but also as a business growth strategy. Many energy-saving loans are relatively small and can be offered on an unsecured basis. Historically, this is an important credit union market niche, and one that many banks have avoided. However, in the future, with energy costs expected to rise, from the fuel pump to the electrical outlets in people’s homes, well-structured and well-marketed green loan programs have the potential to become as important as car loans have been in the past to credit unions. 42 Endnotes 1. Deloitte Development, LLC, “Sustainability Strategy 2.0: Next Generation Driver of Innovation,” www.deloitte.com/assets/ Dcom-UnitedStates/Local%20Assets/Documents/us_scc_ SustainabilityStrategy_061311.pdf. 2. Dhiraj Rajaram, “Making the Business Case for Sustainability,” Harvard Business Review, May 2, 2011, http://blogs.hbr.org/ cs/2011/05/making_the_business_case_for_s.html. 3. Strategy + Business, “Values vs. Value,” www.strategy-business. com/article/11103?pg=all. 4. Council on Environmental Quality, Recovery through Retrofit (Washington, DC, 2009), 1. 5. Ibid, p. 7. 6. Ibid. 7. Overall, 96 of the respondents completed the demographic question identifying whether they were based in one of the five National Credit Union Administration (NCUA) regions or responded N/A. Since the survey was promoted only to US and Canadian credit unions, those responding N/A are assumed to be Canadian. 8. Two of the 18 lenders selected to participate in the pilot program are credit unions: University of Virginia Community CU and SOFCU Community CU. 9. H. Bhkl Choi Granade, J. Creyts, A. Derkach, Ph. Farese, S. Nyquist, and K. Ostrowski, Unlocking Energy Efficiency in the U.S. Economy (McKinsey & Co., July 2009), 37. 10. Ann Griffin and Ben Kaufman, Certified Home Performance: Assessing the Market Impacts of Third Party Certification on Residential Properties (Earth Advantage Institute, May 29, 2009), 5. 43 Finding Sustainable Profits: Green Lending in Credit Unions W. Robert Hall Hall Associates Consulting, LLC ideas grow here Foreword by Frances A. Dubrowski Adjunct Professor of Environmental Law, Policy, and Finance University of Maryland School of Public Policy PO Box 2998 Madison, WI 53701-2998 Phone (608) 231-8550 www.filene.org PUBLICATION #249 (8/11)