Title: EULER
1INSURING CREDIT RISK
London December 15, 2004
2Summary
I. Who are we ? II. What credit insurance is
about ? III. Insuring credit risk IV. Accounting
under current practices and IFRS 4 V. Operating
similarities and differences with financial
guarantees VI. Implications of the ED on
Financial guarantee and credit insurance
3Summary
I. Who are we ? II. What credit insurance is
about ? III. Insuring credit risk IV. Accounting
under current practices and IFRS 4 V. Operating
similarities and differences with financial
guarantees VI. Implications of the ED on
Financial guarantee and credit insurance
4Representing credit insurance and surety industry
since 1928
Group Members
Coface Group
Euler
Hermes Group
Atradius
Group
Reinsurance Members
Converium
-
Swit
zerland
Switzerland
-
Partner Ré
-
Hannover Re
-
Germany
Munich Re
-
Germany
Swiss Re
Switzerland
ICISA members insure annually trade receivables
in excess of 1,000 billion euros
-
De Montfort Insurance - UK
5Summary
I. Who are we ? II. What credit insurance is
about ? III. Insuring credit risk IV. Accounting
under current practices and IFRS 4 V. Operating
similarities and differences with financial
guarantees VI. Implications of the ED on
Financial guarantee and credit insurance
6What is credit insurance
-
- Credit insurance has expanded in the early 1920s
because the development of intercompany credit
made the former one-to-one risk management
techniques outdated and called for insurance to
manage the not knowable credit risk. - Hence, credit insurance offers to the seller
protection against the default of his clients by
insurance diversification techniques - as well as collection and claims management
services. - This industry plays an essential role in
enhancing and securing trade for SMEs.
7What is credit insurance
BALANCE SHEET
Credit insurers protect 30 of companies
property
8What is credit insurance
CREDIT INSURER
CLIENT
. INSURANCE BROKER
A SME needs a coverage for its overall assets and
asks its insurance broker
9What is credit insurance
REINSURERS
CREDIT INSURER
CLIENT
. INSURANCE BROKER
. As credit insurers manage risk through
insurance techniques, their only way
to externalise part of it is to resort to
reinsurers as they share these techniques
10What is credit insurance
REINSURERS
CREDIT INSURER
CLIENT
DEBTOR
?
. INSURANCE BROKER
?
Credit insurance is priced on the basis of the
statistical combination of the occurrence of the
adverse event and of the probability it leads to
a loss
-
- as property insurers are not aware of all the
premises of their clients, credit insurers are
not aware of the identity of all the debtors of
their clients - where banks usually provide guarantees if the
risk is fully measured on a single basis, credit
insurers do only if the risks are on the whole
statistically non correlated - where banks know their exposure on each debtor,
credit insurers are not aware of the exposures of
their clients
11Summary
I. Who are we ? II. What credit insurance is
about ? III. Insuring credit risk IV. Accounting
under current practices and IFRS 4 V. Operating
similarities and differences with financial
guarantees VI. Implications of the ED on
Financial guarantee and credit insurance
12Insuring credit risk
Client 3
Client 1
Credit insurer
Client 2
Client 4
Pooling mutualised risks (not individual risk) in
a portfolio
13Insuring credit risk
Insured turnover fluctuation Y (Raw material)
Z GDP t
Claims cost Y GDP t
Building a portfolio with the countrys economy
as a benchmark
14Insuring credit risk
Diluting the risk through insurance techniques
15Insuring credit risk
-
- Faced to a classical insurance situation of
asymetrical information on the covered - asset, credit insurers resort to various
insurance techniques in order to mitigate - the risk and uncertainties of their business and
avoid moral hazard and adverse - selection
- whole turnover policy (no selection by the
insured) - co-insurance with the client (individual and/or
aggregate deductibles) - subrogation on the receivable and waiting period
prior indemnification - conditionality of the guarantee (delivery,
dispute, ownership of asset andany subject of
insurance fraud) - potential cancellation of the policy after any
one loss - maximum liability the aggregate amount of
claims payable cannot exceed x times the
premiums -
16Summary
I. Who are we ? II. What credit insurance is
about ? III. Insuring credit risk IV. Accounting
under current practices and IFRS 4 V. Operating
similarities and differences with financial
guarantees VI. Implications of the ED on
Financial guarantee and credit insurance
17Accounting under current practices and IFRS 4
-
- Ultimate technical margin is estimated at
inception (hence a liability is recognised at
inception) and spread over the life of the
contract (including deferred acquisition costs) - Ultimate margin is re-estimated for subsequent
measurement and liability adequacy test meets the
specified minimum requirements of IFRS 4 - Adequacy of measurement between liabilities and
the reinsurers shares in those liabilities - Two existing types of policies underwriting
year basis and accident year basis (simplified
example next page)
18Accounting under current practices and IFRS 4
Simplified example for reinsurance and other
insurance features see VI. Implications of the ED
on Financial guarantee and credit insurance
19Summary
I. Who are we ? II. What credit insurance is
about ? III. Insuring credit risk IV. Accounting
under current practices and IFRS 4 V. Operating
similarities and differences with financial
guarantees VI. Implications of the ED on
Financial guarantee and credit insurance
20Operating similarities and differenceswith
financial guarantees
21Operating similarities and differenceswith
financial guarantees
22Operating similarities and differenceswith
financial guarantees
. Financial guarantees are very close to loan
commitments whereascredit insurance contract are
insurance contracts
23Summary
I. Who are we ? II. What credit insurance is
about ? III. Insuring credit risk IV. Accounting
under current practices and IFRS 4 V. Operating
similarities and differences with financial
guarantees VI. Implications of the ED on
Financial guarantee and credit insurance
24Implications of the ED on Financial guarantee and
credit insurance
-
- If credit insurance remains in the scope of IFRS
4, credit insurers will account for their
contracts with their existing practices which are
comparable because they are compliant with EEC
Directive of 1991 - ? If credit insurance is scoped in IAS 39 / 37,
1) credit insurers would have to develop
accounting practices until phase II is completed
for some of their insurance features2) a
contract which meets the definition of an
insurance contract will not be accounted for
under the Insurance Contract Standard,
potentially opening the way to inconsistencies or
arbitrage accounting
25Implications of the ED on Financial guarantee and
credit insurance
-
- Potential issue could come out of the followings
- Reinsurance to be booked or not ?? Credit
insurance contracts are insurance contracts.
Hence, the reinsurance of credit insurance is
within the scope of IFRS 4 IFRS 4-2-a An
entity shall apply this IFRS to insurance
contracts (including reinsurance contracts) that
it issues and reinsurance contracts that it
holds ? Reinsurance cannot be measured by IAS
32 and 39, if reinsurance accounting is viewed as
policyholder accounting IFRS 4 BC 73 (d) A
policyholders rights and obligations under
insurance contracts are outside the scope of IAS
32 and IAS 39 ? Only financial reinsurance is
in the scope of IAS 39 QA 1-3-a (August 29/30,
2000) A reinsurance contract is excluded from
the scope of IAS 39 if it principally transfers
insurance risk. In contrast, a reinsurance
contract is within the scope of IAS 39 if it
principally involves the transfer of financial
risks (a financial reinsurance contract) ?
There would therefore no longer be any adequacy
of measurement between liabilities and the
reinsurers shares in those liabilities for
credit insurers. In addition, as the receivable
from the reinsurer are not virtually certain
until the claims are paid, there should never be
any reinsurance accounting under IAS 37.
26Implications of the ED on Financial guarantee and
credit insurance
-
- Salvage subrogation possible Phase I /
impossible IAS 37? Salvage subrogation
represent amounts to be recovered out of pending
claims. They are anticipated at inception
together with the claims cost (see simplified
example). They represent 15 of paid
indemnities. ? IFRS 4-BC-120 Some insurance
contracts permit the insurer to sell (usually
damaged) property acquired in settling the claim
(ie salvage). The insurer may also have the right
to pursue third parties for payment of some or
all costs (ie subrogation) The Board will
consider salvage and subrogation in phase II ?
Anticipated salvage subrogation being estimates
of potential future recoveries might not meet the
IAS 37 recognition criteria (conflicting
interpretations currently between auditors). - Risk and uncertainties Phase II applicable to
credit insurance? Insurance liabilities are
uncertain. This gives rise to measurement
questions. How should the amount of uncertainty
be assessed ? Should it be reflected by the risk
premium that marketplace participants would
demand ? Should it be reflected using provision
for risk of adverse deviation ? (IFRS 4-BC-6)?
Credit insurance contracts are faced to the same
uncertainties, hence they will be required to
apply in substance Phase II conclusions whether
scoped in IFRS 4 or not.
27Implications of the ED on Financial guarantee and
credit insurance
-
- Uncertain performance features (no claim
bonus)? Some policies include performance
features which lead to the retrocession of a part
of the profit to the insured if the technical
result of his policy overpasses a specified
amount. In the existing accounting policies, this
liability is estimated and booked at inception
even though it depends on the final result of the
policy at the end of a specified period (mostly
three years).? This liability is potentially
uncertain as it is mostly based on the
anticipation of GDP for the three coming years
and as it is only payable to the insured if he is
still client at the time he is entitled to ask
for the computation (see below renewal options).
Will this liability meet the IAS 37 recognition
criteria ? - Renewals, cancellation and continuation options?
Credit insurance contracts are cancellable at the
option of the policyholder (three month
notice).? Cancellation or continuation can be
predicted all along the economic cycle (hence the
no claim bonus above to keep the client).? As a
result, should the closed book of insurance
contracts include future premiums, claims and
other cash flows once past the three month notice
or when the cancellation or continuation be
predicted ?
28Implications of the ED on Financial guarantee and
credit insurance
-
- Deferred acquisition costs? When cancellation or
continuation are predictable (see before), should
costs incurred to acquire new insurance contracts
be capitalised and amortised ?? Moreover how
should the Exposure Draft (BC-23-c) be
interpreted when there is no such thing as
interest expense for a credit insurance contract
Instead of being recognised as an expense,
those transaction cost would result in additional
interest expense over the life of the contract - Discounting of reserves ? IAS 37 considers the
time value of money when setting up a reserve. ?
IFRS 4 BC-126 reads However, because the
Board will not address discount rates and the
basis for risk adjustment until Phase II, the
Board concluded that it could not require
discounting in Phase I ? What do credit
insurance reserves have in special that enables
to address discount rates in Phase I ?
29Implications of the ED on Financial guarantee and
credit insurance
-
- Accounting by policyholders? The Exposure Draft
(BC 4) does not deal with the treatment of
financial guarantee contracts by the holder.? In
February 2002, the Board agreed tentatively to
create a simplified measurement model for
policyholders based on paragraph 9.6 of the
DSOP.? We wiew as prejudicial to our insured
1) the current impossibility to refer to any
Standard for policyholder accounting2) the
exclusion from the potential benefit of using a
simplified model (the great majority of our
client being SMEs) and/or the obligation to
account for one of their insurance contract
differently from their other ones (which could
cause confusion). - Disclosures? Reporting under IAS 39/37, credit
insurers would have to disclose under IAS 32.?
Although the high level principles that drive
IFRS 4 requirements share the same spirit as
those of IAS 32, they are supplemented by
specified disclosures (reinsurance, claims
development, ) The lack of these specified
disclosures in the IAS 32 requirements might lead
to 1) a reduction in the level of information
provided to external party2) depending on the
shared interpretation of the new requirements
among credit insurers, to incomplete,
inconsistent and uncomparable information.
30Implications of the ED on Financial guarantee and
credit insurance
-
- Insurance contracts acquired in a business
combination? When an insurer acquires a block of
insurance contracts in a portfolio transfer, the
fair value of the block of contracts may exceed
the amount received from the transferor. The
Board agreed in February 2002 that the insurer
would recognise that excess not as an expense but
as an intangible asset not submitted to IAS 36
and 38? Under IAS 39/37 this option will not be
open. Why single out unfairly credit insurance
contracts ?
31As a conclusion
-
- The Exposure Draft puts pressure on the credit
insurance industry to justify why it should be
accounted for according to IFRS 4. In our mind,
it should rather be justified why an insurance
contract should not be accounted for under the
Insurance Contract Standard. - The absence of an arbitrage market between credit
insurance and financial guarantees is a clear
evidence that the two products are different, do
not meet the same needs, are not interchangeable. - Financial guarantees deal with currency risk,
interest rate risk, market risk, credit risk,
liquidity risk and cash flow risk. They never
transfer significant insurance risk and as such
are naturally in the scope of IAS 39. - Credit insurance insures credit risk. Accounting
for credit insurance under IAS 39/37 might mean
in the future that property insurers should apply
IAS 40 when insuring buildings
32As a conclusion
-
- We think that the current Exposure Draft is
unnecessary, because - the existing requirements in IFRS 4 already
provide appropriate requirements for credit
insurance contracts (a liability is already
recognised at inception) - the proposed measurement would bring no real
improvement to the existing practice in IFRS 4
for credit insurance contracts - to the contrary, the proposed requirements would
be less relevant for credit insurance contracts
than the existing accounting standards - the proposed requirements would also reduce
(instead of increasing) the comparability between
entities - the proposed measurement of financial guarantees
could be easily achieved through amendment to the
existing IFRSs other than IFRS 4 - the proposed requirements will not allow a
consistent measurement of financial guarantees
and credit insurance - the proposed effective date will make credit
insurers accounts less comparable and
understandable as they will change in 2005
(investment equalisation reserve), 2006 (IAS
39/37), Phase II (risk and uncertainty, salvage
and subrogation, )
33As a conclusion
-
- We therefore agree that all insurance contracts
should be accounted for under the Standard for
Insurance Contracts (IFRS 4). The proposed
exception for credit insurance contracts is
neither logical nor relevant to the accounts. - The publication of the Exposure Draft was based
(BC 22) on the fact that To counter the view
that IFRSs (and specifically IAS 37) do not
require an entity to recognise a liability when
it issues a financial guarantee contract, the
Board concluded that it should publish this
Exposure Draft now and not wait for further work
on phase II of the Insurance project - We think that if the wording of IAS 37 seems
ambiguous to some respondent than the amendment
should be made to IAS 37, not IFRS 4.
34INSURING CREDIT RISK
London December 15, 2004