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The Alternative Risk Transfer Market

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In this discussion, Alternative Risk Transfer (ART) shall be defined as: ... The trenchant comments made by the HIH Commission Report about certain financial ... – PowerPoint PPT presentation

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Title: The Alternative Risk Transfer Market


1
The Alternative Risk Transfer Market
Thomas Passante, FCAS, MAAA Swiss Re Casualty
Actuaries of Europe (CAE) April 23, 2004
2
Definition
  • In this discussion, Alternative Risk Transfer
    (ART) shall be defined as
  • Retrospective Reinsurance
  • Loss Portfolio Transfer
  • Adverse Development Cover
  • Prospective Reinsurance
  • Multi-year Traditional with special features
  • Aggregate Stop Loss
  • Finite Quota Share

3
ART vs. Traditional
  • What makes a contract qualify as ART?
  • Experience Account with explicit recognition for
    investment income
  • Profit Commission
  • Aggregate, Finite Limits
  • Option Features
  • Additional Premiums
  • Any coverages/triggers not normally covered by
    the traditional market

4
Recent Changes
  • Recent changes that have affected the ART Market
  • Changes in Financial Markets
  • Changes in Underwriting Markets
  • Increased Accounting Scrutiny
  • Increased Regulatory Scrutiny

5
Financial Markets
Decrease in interest rates
Graph not to scale
6
Financial Markets
  • Examples
  • Multi-year Finite Explicit credit for interest
    is lower therefore, to achieve the same
    economics, must charge more up-front premium
  • Loss Portfolio Transfer Less discount
    available to be released i.e., Premium
    fPV(Reserves) is higher. For long tailed lines
    this can be significant.

7
Financial Markets
  • Stock Market
  • Some (more aggressive) players used Equity Market
    returns to discount in the past.
  • Due to
  • lower returns,
  • higher volatility,
  • these players now tend to move toward rest of
    market, i.e., risk free rates.

8
Underwriting Market
  • Reinsurer Practices
  • Reinsurers are less willing to write all-risk
    type policies which had been typical for Finite.
    e.g., lets dump everything into the finite
    cover
  • Post Sept. 11th, terrorism sublimits
  • Asbestos continuing to haunt reinsurers
  • Med-mal severity and frequency and soaring
    defense costs
  • Some reinsurers have exited the Finite market,
    e.g., GGFP, Centre, Stockton, OPL, PMA, etc.
  • Greater focus on reputational risk

9
Underwriting Market
  • Traditional Markets
  • On the other hand, traditional reinsurance
    markets have hardened, which have directed
    companies to search for alternative finite
    structures.
  • Note Property market already appears to be
    softening again!

10
Underwriting Market
  • Unique Risks
  • Tougher stance on more unique or unusual risks
  • Residual Value very little seen in the industry
    today
  • Loss Portfolio Transfers for Corporate Clients
    causes problems due to Information Asymmetry.
  • Liability arising out of a specific product
  • Construction Defects
  • Asbestos
  • Mold (??)

11
Accounting / Regulatory
  • The industry is experiencing an increased level
    of accounting and regulatory scrutiny due the
    combination of
  • A number of abuses in the financial reinsurance
    market,
  • A number of failures in the industry,
  • especially where it can be concluded that (a)
    disguised the eventual occurrence of (or even may
    have caused) (b).
  • Good cleans the market.
  • However, clients are more wary, thus making it
    more difficult to close legitimate transactions
    in the short term.

12
Accounting / Regulatory
  • Example HIH. A number of transactions engaged
    between HIH and reinsurers raised the following
    criticisms
  • Side letters being used to negate risk transfer
  • Backdating of documents
  • Inclusion of sections not intending to be called
    upon
  • Using triggers for additional cover that were
    unrealistic
  • Appearance of risk transfer where there was none.

13
Accounting / Regulatory
14
Accounting
15
Accounting
  • FASB 113 must provide reasonable possibility
    of significant loss. Although never explicitly
    stated, this has led to numerous interpretations,
    increasingly more conservative over time
  • P(Loss) 10
  • E(10 worst cases) (-) 10 of premium, e.g., a
    shortfall type measure
  • 10/10 Rule The 10th percentile (-) 10 of
    premium
  • Recent talk of a 15/15 rule with one auditor!

16
Accounting
  • Recently auditors have taken a tougher stance on
    Finite Quota Share
  • Loss corridors are often a red flag
  • Limits need to be very high
  • Virtually nothing can be sublimited
  • In one instance, deeming reinsurance to be
    collected was difficult to get through. (Auditors
    wanted full coverage for uncollectible
    reinsurance.)

17
Accounting
  • FIN 46, prompted by the alleged abuses of Enron,
    constitutes one of the latest attacks on
    off-balance sheet deals (FASB)
  • Seeks to determine who must consolidate the
    Special Purpose Entity (SPE.)
  • A variable interest entity or VIE is an entity
    that may be consolidated. The party that must
    consolidate the VIE is called the primary
    beneficiary, i.e., whoever holds the majority of
    the risk of loss or the upside/residual returns.
  • Reinsured may have to consolidate furthermore,
    consolidating companies may change from year to
    year, depending on whether the primary
    beneficiary changes, causing further complication
    / confusion.

18
Accounting
  • Ever-evolving International Accounting Standards
    are increasingly migrating toward Fair Value.
  • Stricter enforcement of Premium Accrual on
    multi-year deals, providing less smoothing
    benefit
  • Accrual of Profit Commission

19
Regulatory
  • Sarbanes-Oxley Act
  • Adopted by SEC, requiring disclosure in a
    separate part of the Management Discussion and
    Analysis section of SEC reports of all material
    off-balance sheet transactions, arrangements,
    obligations (including contingent obligations),
    and other relationships of the issuer with
    unconsolidated entities that may have a
    material, current or future effect on financial
    condition...
  • Another outcome closer monitoring of control
    functions within an organization, i.e., to ensure
    independence.

20
The Future?
  • Still quite positive. Lots of ART products offer
    numerous benefits to the client, in cases such
    as
  • Purchase
  • Put bad results behind (e.g., new management)
  • Outsource claims management
  • Regulatory Capital Relief
  • Solvency Capital Relief
  • Smoothing Results
  • Make profit

21
Conclusion
  • The ART market not dead! Far from it! Rather,
    it has changed. Still seen as a viable set of
    products. When financial reinsurance is properly
    used, it has a legitimate and beneficial part to
    play in the financial management of reinsureds.
  • The trenchant comments made by the HIH Commission
    Report about certain financial reinsurance
    transactions and the FSAs proposals to further
    regulate these products are, therefore, not the
    death knell for financial reinsurance, but are
    simply a wake-up call to practitioners to comply
    with a stricter legal, regulatory and accounting
    regime.
  • source BLG ARTscape
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