Validated on a real rural credit portfolio
- 414 contracts
- 1,023 land parcels
- 160 cities in PR, SC and RS
Portfolio of a credit cooperative in Southern Brazil.
Data
Intelligence
Third parties and counterparties
Reporting and maturity
Solutions for credit cooperatives
Verifiable socio-environmental and climate risk data by CPF, CNPJ, land parcel and contract, with evidence for the PRSAC, the new GRSAC and CMN 5,268.
An ESGreen specialist replies within one business day to schedule a time.
Data as of Sep 2026. Source: ESGreen database.
Regulation requires the cooperative to take a view of risk that goes beyond its own balance sheet and reaches its entire chain of counterparties: members, suppliers and the financed land parcels.
Which operations in the portfolio could generate losses in the next 90 days?
Relevant changes reach the assessment too late.
Legal, tax, socio-environmental and reputational risks can slip off the radar.
Scattered information requires manual work.
The problem isn't just that the climate is changing. It's the loss reaching the portfolio without warning.
Between one lookup and the next, blind spots appear.
Six routines that the ESGreen infrastructure supports in the cooperative's day-to-day work.
The analyst sees climate risk per land parcel and per contract before granting credit and can adjust the limit, collateral or coverage.
Module: IRC-ESGreen
CAR (Rural Environmental Registry), environmental embargoes, the MTE employer registry and vegetation clearing after July 31, 2019 (PRODES/INPE), by CPF, CNPJ and property, with the source and date of each check.
Module: ESGreen Pre-assessment and Data & API
Continuous tracking by CNPJ and CPF, with alerts organized by type and by company and the ESGreen Score recalculated with every new fact.
Module: ESGreen Monitoring
Climate concentration by state and crop and three exposure scenarios in reais (favorable, base and severe) to discuss limits, coverage and provisions.
Module: IRC-ESGreen
From policy to evidence: the PRSAC applied to clients, suppliers and operations, with an issue history and protocols logged with the counterparty.
Module: ESGreen Monitoring
Preventive contact, guidance and follow-up on the most exposed operations, with room for insurance, technical assistance, preventive renegotiation and sustainable credit lines.
Module: IRC-ESGreen
Members, suppliers and land parcels tracked continuously. IRC-ESGreen (Climate Risk Index) runs on climate data updated daily.
PRSAC and GRSAC reporting with evidence, a report per operation, operational and executive dashboards and regulatory reporting, in the format the committee, audit and regulator read.
Every data point with source, date and version. Dated IRC runs, versioned methodology and protocols logged with the counterparty.
One suggested action per operation: monitor, require insurance, review the limit, strengthen collateral, provision or block. The decision stays with the cooperative.
It is the difference between saying you do it and being able to prove you do it.
A platform in three layers: data, intelligence and applications. Every result can be traced back to its source.
Climate Risk Index per land parcel, contract, member and portfolio, from 0 to 100 (the higher, the greater the risk), with exposure in reais and a suggested action.
ESG risk by CNPJ, from 0 to 1,000 (the higher, the lower the risk), across 12 layers and 5 dimensions, with a Confidence Index.
Corporate members, suppliers and partners tracked continuously, with a portfolio dashboard by central and by cooperative, alerts and issue management.
Individual members, rural producers, partners and officers: politically exposed persons, sanctions, lawsuits, certificates and registration status, with alerts per person.
Each alert handled by the right area of the cooperative, with an owner, follow-up deadline, counterparty response and recorded sign-off.
Individual report per CNPJ or CPF for member onboarding, supplier qualification and credit analysis.
Suppliers assessed in a single workflow, with the areas involved set by the risk of each supply and each area's decision recorded.
Supplier ESG maturity with 400+ criteria by company size and CNAE activity code, and AI-assisted document validation.
From the social, environmental and climate responsibility policy to the GRSAC report, proportional to the cooperative's size and segment.
70+ sources and a data model by CPF, CNPJ, land parcel, contract and portfolio, with IRC lookup within the origination workflow.
The rules that weigh most on credit cooperatives, from those already in force to those on the way. The cooperative is the one that complies; ESGreen provides data, evidence and an audit trail.
| Regulation | Status | What it requires | How ESGreen helps |
|---|---|---|---|
| CMN Res. 4,945/2021 (PRSAC) | In force | Social, environmental and climate responsibility policy approved and applied by every institution in the National Financial System (SFN), cooperatives included. |
From policy to evidence: monitoring members, suppliers and operations shows how the PRSAC is applied, with history and protocols. |
| CMN Res. 5,268/2025 (rural credit, MCR section 9) | In forceIn stages: PRODES/INPE check already required for properties above 4 fiscal modules and on its way for the rest. Remote monitoring of contracts above 300 ha already required | Verification of vegetation clearing after July 31, 2019 and remote sensing monitoring before and during the contract, “documented, auditable and assessable by the Central Bank”. |
Checks by CPF, CNPJ and property, climate risk by land parcel, and a record of the source, date and version of each check. |
| BCB Res. 586/2026 + BCB IN 772/2026 (new GRSAC) | PublishedPhased effectiveness. S1 and S2 make the first quantitative disclosure, based on a reference date prior to it; S3 and S4 follow | GRSAC report with quantitative tables. The draft under public consultation CP 127/2025 included exposures by sector, agricultural credit by biome, and exposure to drought and heavy rainfall by region. |
Counterparty classification by CNAE, ESGreen Score per counterparty and IRC-ESGreen per land parcel and region as inputs for the new tables. |
| CMN Res. 4,943 and 4,944/2021 | In force | Social, environmental and climate risk in the risk management framework (4,943 for S1 to S4; 4,944 for the simplified S5 regime). |
ESGreen Score and IRC-ESGreen as inputs for risk appetite, limits and stress tests. |
| BCB Res. 151/2021 (DRSAC) | In forceSemiannual submission, in February and August | Social, environmental and climate risk assessments of exposures and borrowers submitted to the Central Bank. |
Risk flags per counterparty, with source and date, ready to feed into the document. |
| Brazilian Sustainable Taxonomy (Decree 12,705/2025) and MRV System | VoluntaryFor now. Credit cooperatives are expected in the second wave of the MRV system, which is moving toward mandatory verification | Classification of activities by CNAE, alignment indicators and, later, verification by accredited verifiers. |
Prepared for the TSB MRV system: classification by CNAE and evidence per operation. |
| CMN Res. 5,185/2024 (IFRS S1/S2), where applicable | In forceAlready mandatory for publicly traded financial institutions and S1 and S2 conglomerate leaders; S3 next | Sustainability report (CBPS 01/02) with reasonable assurance by an independent auditor. |
Evidence trail ready for reasonable assurance and physical risk inputs for IFRS S2. |
| BCB Circular 3,978/2020 (AML/CFT) | In force | Procedures to know clients, employees, partners and outsourced service providers. |
Continuous monitoring of suppliers and partners, with restrictive lists, international sanctions and news. |
Deadlines are set by regulators and may change. Official dates and estimates, with the review date, are on the regulatory map.
Deadlines may change. The direction does not: every requirement moves from drafting to consultation, from publication to effectiveness. And the evidence it will call for needs a history.
Foreseen in an official document, with no date set in a rule yet.
Under consultation or with a proposed timeline. The direction is already set.
No milestones in this status.
Rule published. The requirement takes effect in stages.
Already applies. Evidence must be kept up to date.
Informational content; not legal advice. Deadlines are set by regulators and subject to change; official dates are on the regulatory map. Status reviewed on .
| Official zoning (ZARC) | IRC-ESGreen |
|---|---|
| Static, by municipality and by crop season. | Dynamic, per land parcel, recalculated with every run. |
Cross-referencing with a dynamic analysis can reveal exposures that aggregate zoning does not show at the operation level. The comparison requires a methodological basis, a sample and statistical evidence for the subset analyzed.
In chapter 6, “Responsible Solutions”, of the Sicredi 2025 Sustainability Report, ESGreen is cited as the platform used to monitor and assess supplier ESG.
“Today we have a customizable, agile platform that centralizes all the analysis of our supply chain, records every interaction with suppliers and generates a comparable ESG Score in minutes.”
Sicredi 2025 Sustainability Report, ch. 6, p. 127 (GRI 2-6 | 3-3)
Read the Sicredi case studyPortfolio of a credit cooperative in Southern Brazil.
Alert issued
12 daysA −1.6 °C frost forecast for July 14 in Caxias do Sul, identified 12 days in advance.
94.3% of the portfolio analyzed showed some level of exposure to extreme weather events in the previous two years. Field study covering more than 1,000 areas and properties in Southern Brazil.
Data as of Sep 2026.
Via API, dashboard, report or alert. The executive board sees the portfolio. The account manager sees the contract. The regulator sees the evidence.
Navigation levels
For central cooperatives and systems, the platform can run under the cooperative system's own visual identity (white label).
Security, privacy and procurement of data services: See the Trust page
Boards, committees and leaders need to show command of the subject. ESGreen Education trains these audiences with immersive workshops (ESG Lab), learning paths with assessment and a certificate of completion (ESG 360) and tailored content (On Demand). At Sicredi Dexis, the entire management layer completed the training before building its own materiality matrix.
Short answers to the most common questions.
Still have questions? Talk to an expert
Section 9 of the MCR (Rural Credit Manual), as amended by CMN 5,268/2025, requires checking for vegetation clearing after July 31, 2019 using PRODES/INPE and, for contracts above 300 ha, documented and auditable remote sensing monitoring. ESGreen organizes these checks by CPF, CNPJ and property and records the source, date and version of each one. The credit decision and compliance with the rule remain with the cooperative.
No. ZARC (Agricultural Climate Risk Zoning) is the official zoning: static, by municipality and by crop season. IRC-ESGreen is dynamic, calculated per land parcel and recalculated with every run. The two readings complement each other: cross-checking them can reveal exposures that the aggregated zoning does not show per operation.
For ESGreen Monitoring, the list of CNPJs and CPFs to track. For IRC-ESGreen, the portfolio or a sample of operations, with the location of the land parcels and the operation data: credit type, collateral, coverage and history. The exact scope is defined during implementation.
Yes. Our offer is sized by the monitored base (number of CNPJs and CPFs), users and access profiles, contract term and integrations. This lets you start with one cooperative, one central cooperative or a whole system.
The TSB MRV system guidance places credit cooperatives in the second wave, after S1 and S2 banks, and the path ends in mandatory verification by accredited verifiers. Adoption is voluntary for now, but the track record that verification will ask for cannot be built overnight. Preparing means classifying operations by CNAE, keeping evidence per operation and storing dated history. ESGreen provides this data with source, date and version.
No. They are assessments based on public and regulatory data and on proprietary models. They do not constitute a credit rating, investment recommendation or legal opinion and should be used as input for decisions made by the cooperative itself.
In a 30-minute conversation, we show the infrastructure applied to your cooperative's rural portfolio, members and regulatory obligations.
Or write to contato@esgreen.com.br
An ESGreen specialist replies within one business day to schedule a time.