Title: The IAIS Captive Issues Paper
1The IAIS Captive Issues Paper
- ICP 26 new ICP - drafted 2003 - together with
Standard in 2004 on Disclosures Concerning
Technical Performance of Non-life Insurers and
Reinsurers - Covers disclosure of the financial position of
insurers and the risks to which they are exposed,
whether they are publicly traded or not
2Disadvantages to Captives
- detrimental exposure for captives writing
liability business because the existence of an
insurance programme for the parent company would
become public knowledge and might encourage
malicious claimants or a larger number of
claimants than would otherwise be the case - detrimental exposure of public knowledge for
captives writing specialty lines eg Kidnap and
Ransom business, Suretyship
3As a result of these concerns..
- Supervisors permitted to disapply the Standard to
captives - A Captive Issues Paper was proposed following
comments from certain IAIS members who sought
more information on the regulation of captives
there appeared to be a lack of understanding of
the characteristics of captives on the part of
some mainstream insurance regulators
4The IAIS Captive Guidance Paper
- Resulted from the Issues Paper following requests
from certain IAIS members who sought closer
guidance on the regulation of captives
5Some Issues arising....
- What is a captive definition
- An insurance or reinsurance entity created and
owned, directly or indirectly, by one or more
industrial, commercial or financial entities, the
purpose of which is to provide insurance or
reinsurance cover for risks of the entity or
entities to which it belongs, or for entities
connected to those entities and only a small part
if any of any of its risk exposure is related to
providing insurance or reinsurance to other
parties
6Issues Paper four broad categories of captive
- Pure captives single parent companies writing
only the risks of their owner and/or affiliates - Group and/or association captives multi-owned
insurance companies writing only the risks of
their owners and/or affiliates, usually within a
specific trade or activity
7Issues Paper four broad categories of captive
- 3. Rental captives insurers specifically
formed to provide captive facilities to unrelated
bodies for a fee. They are used by entities
that prefer not to form their own dedicated
captive - 4. Diversified captives these are captives
writing a limited portion of unrelated business
in addition to the risks of their owner and/or
affiliates. Some jurisdictions consider that an
insurance company writing any unrelated party
business cannot be classified as a captive
8Relative Risk Profiles of different captive
types Level 1 - single parent, property/BI
only Level 2 - single parent, including
liability risks Level 3 - rental captives
Level 4 - diversified captives
9Jurisdictional decision
- In effect it will be for each jurisdiction and
its regulators and lawmakers to decide what
definition they wish to apply to a captive, if
any, and what level of regulation they wish to
apply - Should jurisdictions introduce separate
legislation for captive insurance companies ?
10Fronting arrangements
- Many captives undertake reinsurance only
- Primary cover given by a licensed insurance
company - Cost of fronting
11Risks in fronting arrangements
- May compromise the integrity of the fronting
carrier - May compromise the integrity of the captive
- Will imply the captive outsourcing services to
the fronting carrier
12Insurance Managers
- Larger captives may be free-standing as they will
have sufficient income to support the costs of
establishment - Most captives will be managed by an insurance
manager as a method of minimising cost and
accessing expertise
13Management tasks undertaken by Insurance Managers
- Underwriting and policy issue
- Reinsurance placement
- Claims handling and payments
- Company management and secretarial services
- Accounting
- Investment
- Regulatory reporting
- Compliance and AML/CFT
- Administration
14Captive Manager skills requirements and staffing
- Accountants
- Insurance professionals underwriting and claims
- Investment skills and knowledge
- Compliance
- Company secretarial/administration
15First Line of Regulation
- Manager is the principal point of contact between
the captive and the regulator. - Captive manager will undertake due diligence on
new clients, create a business plan for new
captives - Captive manager is usually required to report to
the Regulator any deviations from business plans - In day-to-day transactions, any fraud or other
misuse of the captive will probably require
collaboration between the captive managers staff
and the captive itself
16Insurance Managers
- Need to license insurance managers !
- includes fitness and propriety of persons
- includes a sufficient capital base
- Need to undertake on-going regulation of
insurance managers ! - includes on-site inspection
- Includes annual accounts and a return
17Licensing of Captives suitability of persons
- Directors unlikely to have insurance experience
- Try to have the companys risk manager on the
board
18Changes in control and portfolio transfers
- Few takeovers
- Portfolio transfers and novations
19Investments
- Statement of investment policy in application
- Conservatism
- Over concentration in cash/banks
- Equity portfolios
- Personal mutual funds
- Loan-backs
20Why regulate captives ?
- Protection of policyholders
- Third party policyholders
- Third party claimants including employees, some
protected by legislation - Protection of other stakeholders
- AML/CFT
- Fronting carriers
- Captive owners and boards
- Prevent fraud
21Need for successful Captive market
- Captive premiums amount to some 50 billion
- Some 5500 captive insurance companies
- Significant role in the financing of risk
worldwide