Title: Insurance Groups Supervision Implementation in a Member State
1Insurance Groups SupervisionImplementation in a
Member State
2 Main points
- Adaptation of the Insurance Groups Directive (IGD
98/78/EC) into French law - Practical implementation of group supervision
- Towards Solvency II
3 Main points
- Adaptation of the IGD into the French regulation
- Practical implementation of group supervision
- Towards Solvency II
4Adaptation of the IGD into the French regulation
- Scope of group supervision
- Adjusted solvency margin calculation
- intra-group transactions
- Internal control processes
- Fit proper requirements
- Treatment of solo undertakings in a group
context
5Scope of group supervision
- Parent undertaking, subsidiaries and
participations - Including participations in other financial
sectors - Reinsurance groups are also concerned
- Groups in which links between entities do not
result from capital holdings wider concept of
 related undertakings - Common managers, single management
- Combined accounts
6Adjusted solvency margin calculation
- Directive 98/78/EC allows for 3 methods
- Requirement deduction method
- Deduction and aggregation method
- Accounting consolidation-based method
- Under French regulation
- Use of the consolidated/combined based method
- Two other methods can be used, for particular
group structures, in exceptional circumstances,
after authorisation of the ACAM
7Eligible elements
- Use of the released consolidated accounts to
determine eligible items for the solvency margin
at group level - Eligible items based on the solo rules, subject
to availability and transferability adjustments
(e.g minority interests, subordinated debt,
profit reserves) - Consequences if accounts are released under IFRS
international standards, application of
prudential filters - so as to make the results the same regardless of
the rules used for consolidation - Less burden for groups than making separate
statutory accounts for prudential matters.
8Minimum solvency margin requirement
- Calculation of the solvency margin requirement at
group level for insurance reinsurance
activities - In practice, sum of the solo requirements of
the undertakings belonging to a group (with the
application of a percentage used for the
consolidation) - Insurance related undertakings
- Reinsurance related undertakings
- Third countries insurance reinsurance
undertakings
9Treatment of non-EEA related entities
- Implementation of IGD
- By analogy, as if the related undertakings were
EEA undertakings - Solvency I rules
- Alternatively, local requirements can apply if
the rules are at least comparable to Solvency I - Local requirements can be taken into account
(capital requirement and available capital) - Ex Life activities methods of valuation of
technical provisions may significantly impact the
available capital - must be taken into account
in the comparison with European rules. - Cooperation agreements with third countries
supervisors
10Treatment of cross-sectoral participations
- Under French regulation, two methods allowed
- Deduction of the value of the participations from
the available solvency margin - Or consolidation (as if the group were a
financial conglomerate) - Capital requirement in the sectoral rules
- Eligible own funds in the sectoral rules
- NB Exercise of an option provided by IGD
11Intra-group transactions (1)
- Directive 98/78/CE
- sets out requirements for the supervision of
intra-group transactions regarding - Loans
- Guarantees and off-balance-sheet transactions
- Elements eligible for the solvency margin
- Investments
- Reinsurance operations
- Agreements to share costs
- Undertakings belonging to groups to report at
least annually on significant intra-group
transactions as described above.
12Intra-group transactions (2)
- Adaptation of the Directive into French
regulation at group level - Principle ex-post supervision of significant
intra-group transactions - Annual frequency of reporting
- Forms part of the annual supervisory reporting of
solo undertakings included in the supervision
of a group - At group level, reporting on intra-group loans
(together with the calculation of the adjusted
solvency margin)
13Intra-group transactions (2)
- Content of the reporting on intra-group
transactions for undertakings belonging to a
group - Internal reinsurance
- Ceded premiums, technical provisions, claims,
results per reinsurance - Threshold for significance (in percentage of the
technical provisions and the gross technical
result) - Investment flows
- Sales/purchases of real estate or other external
assets (non listed) - Threshold 5 of the required solvency margin
-
14Intra-group transactions (3)
-
- Agreements for sharing costs
- Risks jointly borne
- Co-insurance or co-reinsurance poolsetc.
- Transactions with a natural person
- Concern natural person that holds participations
in the undertaking - Inventory of the supply of funds
- Threshold 5 of the required solvency margin
- List of off-balance sheet intra-group commitments
- Threshold 5 of the required solvency margin
15Internal control processes (1)
- Requirements under IGD
- General requirement adequate internal control
mechanisms in place for the production of any
data and information relevant for the purposes of
such supplementary supervision - Specific requirement regarding risk management
and internal control processes related to
intra-group transactions
16Internal control processes (2)
- Additional requirement under French regulation
report on internal control - Annual presentation of a report approved by the
board of the group to the supervisor on internal
control processes - Contains aspects related to (inter alia)
- Governance
- Organisation of the internal control processes
- Investment, asset/liability management policies,
derivatives - Underwriting policy, reserving policy
- Procedures for the establishment of released
accounts
17Fit proper requirements
- Requirement regarding the management body of
insurance holding companies - Holding companies are unregulated entities not
subject to authorisation - Need for specific rules, in addition to fit
proper rules that apply to insurance
reinsurance undertakings
18Treatment of intra-group participations/subordinat
ed loans at solo level
- Main objective of IGD
- eliminate double gearing and intra-group creation
of capital at the level of the group - The solo EU legislation
- provides with different options for the treatment
of intra-group participations or subordinated
loans at solo level, mainly - Deduction
- Like a group calculation (consolidation)
- No deduction nor consolidation
- Adaptation under French rules
- Nor deduction nor consolidation at solo level
if the participation in question is taken into
account in the groups adjusted solvency margin
calculation - Otherwise, deduction
19 Main points
- Adaptation of the IGD into the French regulation
- Practical implementation of group supervision
- Towards Solvency II
20Group supervision is a supplementary supervision
- Solo supervision is the bedrock for group
supervision - assessment of the financial situation of solo
undertakings - level of technical provisions, coverage of
technical provisions with appropriate assets,
solvency margin - Other qualitative requirements
- investment reinsurance policies, internal
control, stress tests under deteriorated
financial markets conditions
21Supervision of cross-border groups a key
challenge for group supervision
- Key challenge supervision of cross-border
groups - Each solo supervisor is responsible for solo
supervision in their Member State - Necessity to put in place mechanisms of
cooperation - Between supervisors in charge of the supervision
of the undertakings belonging to a group - Cooperation with third countries
22General framework for cooperation between EEA
supervisors (1)
- The texts at EU level
- Directive 98/78/CE does not state the framework
for coordination between supervisors - Helsinki protocol sets out the framework of
cooperation between EEA supervisors in the frame
of group supervision - co-ordination committees
23General framework for cooperation between EEA
supervisors (2)
- Works of CEIOPS on group supervision
- Main aim fostering cooperation between EU
supervisors - Share views in order to improve the global
efficiency of the group supervision - Guidelines for co-ordination committees
- Less administrative burden for groups
- Develop joint initiatives among supervisors
24Co-ordination committees (1)
- Co-ordination committee
- Gather all EEA supervisors in charge of the
supervision of the groups entities - A lead supervisor for each European group
- Appointment decided at unanimity by the
Co-ordination committee - In general, supervisor where the parent
undertaking is established - The lead supervisor is chairing the
co-ordination committee - Assumes the responsibility of co-ordination
supervision at group level - is in particular responsible for checking the
adjusted solvency calculation and forward it to
the co-ordination committee
25Co-ordination committees (2)
-
- Practical operation of co-ordination committees
- Depend on the structure of groups and number of
supervisors involved - Annual face-to face meetings in going concern
situations other contacts during the year - Discussion on the adjusted solvency margin
calculation and distribution of capital within
the group - The lead supervisor to check the calculation
made by the group - With the collaboration of the other supervisors
involved - Assessment of the adequate repartition of capital
within the group -
26Co-ordination committees (3)
-
-
- Joint initiatives
- In certain circumstances, the same kind of risks
can be borne by entities from different Member
States - The aim is to agree on a common treatment of such
risks on a prudential perspective so as to reach
consistency across different entities of a group
and an appropriate treatment at group level
27 Main points
- Adaptation of the IGD into the French regulation
- Practical implementation of group supervision
- Towards Solvency II
28New framework for group supervision
- Concentration and internationalisation of the
insurance sector - A framework that better fits with the way groups
are managed - Centralisation of governance functions,risk
management,internal control, development of
internal models - while solo entities remain the only liable
towards the policyholders - ? Reinforcement of group supervision
29Proposal of Directive
- Issued in July 2007
- Innovative framework proposed still under
negotiation - Validation of the group internal model lead by
the group supervisor, in collaboration with other
supervisors involved - Framework that allows for diversification effects
between entities in the calculation of the
capital requirements at group level - Also proposes more flexibility in the capital
management of groups (under conditions) - Solo entities to cover their MCR only,
- Group to cover its group SCR
- Issue of the management of crisis situations
30Challenges ahead for group supervision
- Today Solo supervision is an essential matter
for an efficient supervision at the level of the
group - With Solvency II Group supervision will be an
essential matter for an efficient supervision at
solo level. - Strengthening of the role of the group
supervisor - Group supervision to impact solo supervision
31Thank you for your attention
Questions ?
Contacts helene.denis_at_acam-france.frfrancois.t
empe_at_acam-france.fr