* Your assessment is very important for improving the workof artificial intelligence, which forms the content of this project
Download Session 051 PD, Market Impact of International Regulation
Financial economics wikipedia , lookup
Moral hazard wikipedia , lookup
Life settlement wikipedia , lookup
History of insurance wikipedia , lookup
Global financial system wikipedia , lookup
Financialization wikipedia , lookup
Financial Sector Legislative Reforms Commission wikipedia , lookup
Systemic risk wikipedia , lookup
Insurance in the United States wikipedia , lookup
Systemically important financial institution wikipedia , lookup
Session 51 PD, Market Impact of International Regulation Moderator: Marc Slutzky, FSA, CERA, MAAA Presenters: Stephen Broadie Bradley Kading, ARe, CPCU Michelle Rogers, JD SOA Antitrust Disclaimer SOA Presentation Disclaimer International Insurance Regulation Regulatory Impacts Since the Financial Crisis SOA Annual Meeting 2016 Session 051 PD -- Market Impact of International Regulation October 24, 2016 3:30pm Michelle M. Rogers, JD Director of Financial and Regulatory Policy National Association of Mutual Insurance Companies 2 2008 Financial Crisis Insurance Impact • AIG Non-insurance Activities • Investment Losses Suffered by Insurers • Insurers Engaged in Banking • Significant International and Federal Pressure 3 International “Regulatory” Structure G-20 Countries IMF Financial Stability Board FSAP International Standard Setters OECD IAIS Economic Development Insurance Basel Committee Banking IOSC Securities IASB Accounting 4 International Pressure on U.S. • 28 Insurance Core Principles • 2010/2015 FSAP Assessing U.S. Insurance Regulation • European Union – Third Country Equivalence • GSII Designation • Dodd-Frank Act - Covered Agreements 5 Developing Regulatory Issues NAIC/State Activity • Revisions to Reinsurance Collateral Requirements 2011 • Group Supervision – Supervisory Colleges 2010; Group Wide Supervisor 2014 • U.S. Own Risk Solvency Assessment Requirements (ORSA) 2012 • Corporate Governance 2014 • Internal Audit Requirement 2014 • Capital Adequacy – operational risk, cat risk additions 2014 6 Developing Regulatory Issues International Activity ▫ ComFrame ▫ Group Supervision ▫ Global Capital Requirements ▫ Resolution Requirements ▫ Corporate Governance ▫ Market Conduct ▫ Cyber Issues ▫ Accounting and Valuation changes 7 International Standards Difficulties in U.S. Implementation • Legal Entity vs. Group Supervision • Rules-based vs. Principle-based • Nominal Value vs. Fair Value • 50 State Laws vs. National Law • Policyholder Focus vs. Creditor/Investor Focus • Regulation of Conduct vs. Regulation of Capital 8 Policyholder Impacts Economist, Robert Shapiro, “Unnecessary Injury” International Insurance Capital Impacts ▫ Higher premiums anticipated ▫ Product availability and innovation reduced ▫ Less insurance industry investment and/or more investment in Treasury bills and bonds 9 Market Impacts Brookings Institute, Robert Litan, “Source of Weakness” Problems with Group Capital Concept ▫ Group capital concept is creditor-centric, not policyholder-centric ▫ Regulators could use group capital to suppress rates below actuarially appropriate levels ▫ A group approach will weaken companies and harm consumers 10 Regulatory Impacts • Academics, Vaughan and Calabria, “The Road to Financial Instability?” ICS Not a Reasonable Regulatory Solution ▫ Too many jurisdictional differences for a specific global standard ▫ Capital is not the only tool in U.S. – limited regulatory resources ▫ Capital focused regulation could limit focus on policyholder protection 11 Resources • Litan, “Source of Weakness: Worrisome Trends in Solvency Regulation of Insurance Groups in a Post-Crisis World,” 2014. https://www.brookings.edu/wpcontent/uploads/2016/06/trends_insurance_group_solvency_regulation_litan.pdf • Vaughan and Calabria, “International Developments in the Insurance Sector: the Road to Financial Instability?” 2015. http://www.pciaa.net/docs/default-source/default-document-library/finalvaughan-calabria-international-insurance-developments-white-paper-amp-execsummary----april-27.pdf?sfvrsn=2 • Shapiro and Mathur, “Unnecessary Injury: The Economic Costs of Imposing New Global Capital Requirements on Large U.S. Property and Casualty Insurers” 2014. http://www.sonecon.com/docs/studies/Report_on_Capital_Standards_for_PC_Ins urers-Shapiro-Mathur-Sonecon-Final-November-15-2014.pdf Lessons from Bermuda’s Navigation of International Regulatory Standards SOA, Annual Meeting, October 2016 051 PD Market Impact of International Regulation [10/24/2016 03:30 PM] Bradley Kading Association of Bermuda Insurers and Reinsurers About ABIR … • 23 Bermuda domiciled insurers and reinsurers • 97% of GWP by companies traded on New York or London stock exchanges (86% of premium written by US SEC registrants) • Wrote $72 B in GWP (CY 2015) • Aggregate global capital $96 B (CY 2015) • Employ nearly 19,000 in US, over 1,500 in Bermuda, more than 9,800 in Europe and nearly 44,500 worldwide (CY 2015) 2 Outline • • • • • • Regulation Standard Setters The Influence They Have Already Had Bi-Lateral Standard Setters Bermuda: Compliance with US and EU Standards Pathway to a Global Prudential Standard Regulatory Protectionism 3 G7 G8 UNO UNEP Financial Initiative FATF ( Financial Action Task Force on Money Laundering) OECD World Bank GHOS (Group of Governors and Heads of Supervision) BIS (Bank for International Settlement) The Web of Global Regulation WTO G20 IMF FSB (Financial Stability Board) IAIS (International Association of Insurance Supervisors) UN Principles for Ethical Investments Sustainable Banking Sustainable Insurance Sustainable Management and Reporting Finance and Conflict Human Rights and Finance Water and Finance IADI (International Association of Deposit Insurers) Basel Committee on Banking Supervision Joint Forum JFRAC Committee on the Global Financial System IOSCO Int. Organization of Securities Commissions JFFCC Committee on Payment and Settlement Systems Markets Committee Irving Fisher Committee Financial Stability Institute Treasury TFFC FIO FSOC OFR OTS CFPB OFAC OCC SEC FED FDIC FINRA ESFS EBA ESRB ESMA EIOPA DoJ NCUA FAFH NAIC ECB State Regulators National Regulators SNB BSV FINMA BAG RAB Accounting Firms Rating Agencies Banks Analysts Insurers Treuhandkammer SBA Swiss Bankers Association Pensions SVV Swiss Insurance Association SAV Swiss Actuarial Association IIA Institute of Internal Auditors ASIP Schweizerischer Pensionskassenverband BoD Die Kammer CEO Internal Audit CRO Risk Management CFO Finance Compliance Business Source: Philip Keller, Deloitte Chief Actuary 4 So why care about international regulatory standards? 5 Because… Bermuda’s (re)insurers cover the globe Of reported claims from this decade’s catastrophes, Bermuda (re)insurers covered: • 29% of the reported liabilities for the international reinsured share of the Japanese earthquake • 25% from the Gulf of Mexico oil spill • 37% from Europe’s Windstorm Xynthia • 51% from New Zealand’s earthquakes The Association of Bermuda Insurers & Reinsurers represents Bermuda’s major • 38% from Chile’s earthquake property and casualty insurers and • 16% from the United States’ Hurricane reinsurers, protecting consumers around the world. These groups reported 2015 global Sandy. gross written premium of $72 billion on a capital base of over $96 billion. 6 Bermuda’s $35B U.S. Contribution From 2001 to 2015, Bermuda’s (re)insurers estimated contribution to U.S. catastrophe losses: Disaster 2001, Terrorism 9/11 2004, Florida Hurricane Quartet 2005, Katrina, Rita and Wilma 2008, Hurricanes Ike, Gustav 2010, BP Deepwater Horizon 2011, 2012, US Tornadoes + Irene 2012, Hurricane Sandy Estimated Contribution $ 2.5 B $ 3.5 B $18.0 B $ 4.0 B $ 1.0 B $ 3.0 B $ 3.0 B Source: Cummins IDC Study, Dowling, Insurance Insider, Trade Press 7 The EU and the IAIS Have Already Shaped US State Regulation • ORSA • Corporate governance changes • Changes in reinsurance regulation: – Qualifying a jurisdiction – Qualifying a reinsurer • Group supervision concept, from lead supervisor • Group capital requirement, from group capital calculation • What’s next? 8 Why contribute to these current IAIS initiatives? • • • • • To avoid duplicative regulation To avoid gold plating To win deference to local group capital requirement To gain acceptance of an equivalence test If done right, global standards can create efficiencies for global groups 9 EU-Solvency II Equivalence • EU Equivalency/Group Supervision/Market Access • Bermuda and Switzerland; only two fully equivalent on three elements of equivalency • Bermuda: applies to commercial market (captives exempted) 10 Benefits of Equivalence • Recognition of Group Supervisor: – 19 ABIR members have subsidiaries spread over 18 EU jurisdictions – Deferral to BMA as group supervisor – Exemption from EU duplicative group supervision • UK PRA example • Avoid capital add ons • Cross Border Reinsurance Market Access: – Market access – Elimination of collateral – Examples of barriers: Austria, Germany, Italy, Netherlands, Poland, more? 11 Benefits of US Qualified Jurisdiction Status • NAIC Re Regulatory Framework: – Assess the jurisdiction: 7 qualified • Bermuda, France, Germany, Ireland, Japan, Switzerland, United Kingdom – Assess the reinsurer: More than two dozen qualified • 14 ABIR members have subsidiaries in US jurisdictions • Benefits: – Collateral reduced tied to sliding scale based on financial standing – Reputational gain 12 Coming Your Way: International Group Capital Standards • The logical pathway to implementation of an ICS: – Setting an ICS after a trial run with consultation – Setting the regulatory requirement at an insolvency level – Establishing principles for qualifying existing jurisdictional group capital standards – Observing experience in trial period – Adjusting the ICS – Establishing time line to implement global program 13 Protectionism • The GRF identifies 26 countries which have or are implementing, barriers such as: – compulsory cessions, domestic right of first refusal rules, or other trade barriers affecting foreign reinsurers; – discriminatory requirements on cross-border foreign reinsurers for collateralization or localization of assets; – discriminatory barriers affecting the establishment of branches or subsidiaries. 14 Freedom of Reinsurance • Global diversification of risk is vital for reinsurance markets to operate efficiently • Market concerns: – Barriers to trade lead to higher reinsurance costs and less capacity in local markets. • Prudential concerns: – Barriers increase concentration risks for cedents by limiting choice of counterparty; – They increase concentration risks for local reinsurers by compelling acceptance of domestic risk 15 Reinsurance Regulatory Protectionism 16 Conclusion • • • • International standards are in effect now The US itself enforces such standards There will be more to come How can we shape that outcome? – Engagement – Experience – Mutual recognition 17 ABIR’s 23 Members • • • • • • • • • • • • Allied World MS Amlin Bermuda Arch Argo Group Aspen Assured Guaranty Axis Chubb Fidelis Hamilton Re Hiscox Ironshore • • • • • • • • • • • Lancashire Maiden Holdings MS Frontier Partner Re Qatar Re Renaissance Re Third Point Re Tokio Millennium Re Validus Re Watford Re XL Catlin 18 Bradley Kading Association of Bermuda Insurers and Reinsurers [email protected] www.ABIR.bm @ABIR_Bermuda 12 QUESTIONS? International Regulatory Risk and Market Impact Stephen W. Broadie, Vice President, Financial Policy Property Casualty Insurers Association of America (PCI) [email protected] SOA Annual Meeting 2016 051PD: Market Impact of International Regulation October 24, 2016 1 Who is PCI? • Roughly 1,000 member U.S. property/casualty insurance • • • companies – $202 billion in annual premium – 35% of U.S. P/C market From largest international and national carriers to singlecounty writers – stock, mutual, reciprocal Many members have life insurer affiliates – some are owned by life companies Mission – Promote and protect the vitality of a competitive private insurance market for the benefit of consumers and insurers 2 Regulatory risk Regulatory risk is the risk that a change in laws and regulations will materially impact a security, business, sector or market. A change in laws or regulations made by the government or a regulatory body can increase the costs of operating a business, reduce the attractiveness of investment and/or change the competitive landscape. Source: Investopedia http://www.investopedia.com/terms/r/regulatory_risk.asp 3 International regulation – why do we care? • Tremendous increase in international insurance standard-making • • • • • activity in last 10 years – Much of this is highly bank-centric and inappropriate to insurance business model Significant effect already on U.S. insurance regulation, especially since 2007-8 financial crisis PCI strongly supports U.S. state-based regulatory system – best for consumers and insurers System is under both international and federal pressure Standards developed in Basel may come home to Springfield While U.S. insurers/reinsurers are discriminated against abroad 4 Government Entities Intruding in Insurance FSB IAIS OECD IASB IMF World Bank JF FDIC CMS FRB CFTC FIO CFPB DHHS SEC FHA DOC DOJ OSHA Treasury HUD DOT FEMA USTR FASB DOC DOJ OSHA Treasury HUD DOT FEMA USTR FASB FTC FTC FTC FTC Traditional Pre-Crisis Post-DFA 5 Impact on Insurers • 2009 switch from supporting harmonized international regulations to global standards • Costly layers of Solvency II/bank-like regulation • More intrusive regulation and focus on the group – – – – “Group” supervision/capital Source of strength ICS = (IFRS, M2M, target capital, 99.5%VaR) Danger of new governance, market conduct, resolution/recovery and compensation rules 6 How may changing standards affect markets? • New supervisory schemes • Comprehensive international standards • Trade issues and market effects • Effects of regulatory uncertainty 7 New (or upgraded) supervisory schemes • • • • Solvency II (European Union), C-ROSS (China), Mexico, Japan, Bermuda, many others – everyone’s upping their game – Including the US, with the NAIC’s Solvency Modernization Initiative How will insurers from “third countries” be treated? Solvency II equivalence – harmful consequences if your home jurisdiction isn’t considered equivalent – UK, Germany, Poland, Netherlands have already imposed various onerous provisions – could have significant effects on reinsurance markets – US seeking to address “mutual recognition” in Dodd-Frank Act covered agreement negotiations with EU US analogue – “qualified jurisdictions” and “certified reinsurers” 8 Comprehensive international standards • • Systemic risk – G-SIIs and SIFIs – Do companies alter their activities to escape G-SII/SIFI status? • Restructurings of GE Capital, Generali, MetLife – Or, conversely, seek perceived “too-big-to-fail” status and taxpayer backup? – How will 2016 revisions to IAIS determination method affect insurer behavior? IAIS – ComFrame and global Insurance Capital Standard – Potential benefits of uniform global supervision, maybe increased efficiencies – Potential downsides of “one-size-fits-all”, including bank-centric supervision that ignores differences in local markets – “Spill-over” effects on other insurers? 9 Trade issues and market effects • Trans-Pacific Partnership has helpful insurance market access • • • provisions – But will US ratify it? Transatlantic Trade and Investment Partnership negotiations with EU – Moving slowly – Unclear whether/how financial services will be addressed Many trade access barriers (particularly for reinsurance) Free trade appears to be on the political retreat (especially in US) 10 1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 Number of New Bank Charters 250 200 150 100 50 0 Source: FDIC 42 New P-C Companies 100 80 80 60 71 48 40 42 26 20 0 90 33 42 30 19 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 Source: SNL Financial 12 Regulatory Convergence in Banking 44 What does it all mean for insurance markets? • Waters are murky – In US increasing bank regulation has led to consolidation – fewer players, bigger players – But size is penalized in current G-SII calculation – Global capital standard could lead to easier market access – But increased costs of regulation are passed on to consumers, investors and can limit product availability 14 Regulatory uncertainty • Can create opportunities • Also limits innovation and makes it more difficult to plan and to attract capital • Can a multi-lateral regulatory structure based on mutual recognition work? – Toleration for different approaches as long as outcomes are achieved (policyholder protection, free market operation and access, product choice and innovation) • Rather than one-size-fits-all 15 Questions • Thank you! 16 Glossary of Abbreviations • BCBS Basel Committee on Banking Supervision (also Basel Committee) • BIS Bank for International Settlements • CDS Credit Default Swap • FSB Financial Stability Board • G-SIBs Global Systemically Important Banks • G-SIFIs Global Systemically Important Financial Institutions • G-SIIs Global Systemically Important Insurers • G20 Group of Twenty Countries • HLA Higher Loss Absorbency • IAIGs Internationally Active Insurance Groups • IAIS International Association of Insurance Supervisors • ICS Insurance Capital Standard • ICPs Insurance Core Principles • NTNI Non-traditional Non-insurance Activities • SIFIs Systemically Important Financial Institutions 1