Title: Solvency II: Final Agreement Polish Industry Perspective
1Solvency II Final Agreement Polish Industry
Perspective
Witold Walkowiak
Joint International Seminar of the Geneva
Association for the Study of Insurance
Economics Polish Chamber of Insurance Warsaw
University of Technology, Department of
Management Warsaw, 29 June 2009
2Poland fast growing insurance market
Number of Insurance Companies
Gross Written Premium (bln EUR)
Source Eurostat, Polish Financial Supervision
Authority, Deloitte projection
3Polish insurance market is open to foreign
capital and will be exposed to cross border
supervision
of companies
Share Capital
GWP
23
19
48
52
46
77
Domestic capital/control
Foreign capital/control
4Towards Solvency II in Poland Who drives the
process ?
- Financial Supervision Authority (KNF)
- 2005 2008 Presentations and meetings with the
market on Solvency II - Introduction and facilitation of QIS exercise on
the Polish Market - The Ministry of Finance
- Council for Financial Markets Development (RRRF)
- Polish Chamber of Insurance (PIU)
- Communication and discussion platform for the
market - Discussion partner for CEA and Polish
regulators/supervisors
5Towards Solvency II in Poland Actions driven
by the Polish Chamber of Insurance
- Solvency II Working Group formed in 2004 and
meets on a regular basis - Since 2007, the Solvency II related activities of
the Chamber supported by Deloitte - Solvency II related issues presented by various
professional speakers - US Solvency Capital regulations and Mack
reserving methodology for non-life EMB
Consulting - FSA experience and UK market approach AVIVA
- Basel II Deloitte
- Standard Approach for life and non-life CEA
- German GDV Solvency Model GDV
- Swiss Solvency Test Thillinghast
- Solvency II v. IFRS 4 Peter Clark from IASB
- Solvency II Group Regime and Support Karel van
Hulle EC - Communication
- E-room for the exchange of information between
Solvency II Working Group members
6Towards Solvency II in Poland Quantitative
Impact Studies
- QIS 1 September December 2005 Calculation of
Technical Provisions - Life 4 companies (67 of life provisions)
- Non-life 9 companies (91 of non-life
provisions) - QIS 2 May July 2006 Valuation of Assets
Liabilities, SCR, MCR - Life 9 companies (76 of life provisions)
- Non-life 13 companies (75 of non-life
provisions) - QIS 3 April June 2007 Group Capital
Requirements, Internal Models - Life 9 companies (74 of life provisions)
- Non-life 15 companies (80.9 of non-life
provisions) - QIS 4 April June 2008 Proxies and
Simplifications of Technical Provisions - 25 out of 65 Polish companies participated
- Life 11 companies (86 of life technical
provisions) - Non-Life 14 companies (81 of Gross Premium
Written) - QISs provided valuable learning opportunity for
all parties involved in preparations for Solvency
II in Poland
7QIS results Total assets and technical
provisions QIS4 to current
- Assets roughly in line with current valuations
- Material decrease of technical provisions
- Best estimate/market consistent valuation vs.
prudent valuation - higher discount rate
- recognition of VIF in QIS4 valuation
- Insufficient guidelines regarding reserve
calculations - future administration costs
- future management actions
- negative reserves in the calculations
- Those were pre 2008 crises results!
Median
7
8QIS results Own Funds QIS4 to current
- Own funds increased driven mainly by lower
provisions - Equity booked in Polish companies is mostly Tier
1 - Capital excess derived from fair value approach
might have been lowered as markets moved down in
2008
Median
8
9QIS4 results Own Funds/SCR and Basic Own
Funds/MCR
Median
- As per QIS4 results, the capital base of Polish
insurance sector is more than sufficient relative
to new capital requirements
9
10QIS results Solvency Position and Internal
Models
- Solvency Position
- Increase of Own Funds surplus more than 50
mainly for life companies (6 out of 7 companies) - Decrease of Own Funds surplus more than 50
mainly for non-life companies (4 out of 6
companies) - Total Own Funds are lower than SCR for 2 non-life
companies - Basic Own Funds are lower than MCR for 1 life
company - SCR in Internal Models
- 4 life and 2 non-life insurance companies use
internal models in their activity - 9 companies plan to use internal model (full or
partial) in the future - 4 companies plan to have full internal model
- 5 companies plan to have partial internal model
10
11Key challenges in implementing Solvency
IIInsurance companies
- Generally, no major business adjustment (capital
injections, asset portfolio reshuffling etc.)
expected as per QIS4 results - Enhancement of risk management structures and
processes - Improvement/development of internal models
- Potential inconsistencies between local and
international (group driven) regulatory regimes - Active communication with the regulators/superviso
rs with support of the Polish Chamber of
Insurance
12Key challenges in implementing Solvency
IIRegulatory framework
- Large scope of domestic regulations/supervisory
guidelines to be amended or developed - Establishment of Solvency II compliant regulatory
framework on time requires well defined and
strong owner of the implementation planning and
execution - Strong competence of the Financial Supervisory
Authority is a precondition for its adequate
interventions in response to potential risk
management deficiencies in the insurance sector - The Financial Supervisory Authority needs to
coordinate well its policies and actions with
foreign supervisors to avoid inconsistencies or
frictions in regulatory environment for Polish
subsidiaries of international insurance groups - Communication with the market needs to be
improved significantly - Harmonization of Solvency II framework with
accounting (IFRS) principles (a global challenge)
and with tax rules (a local issue)
13Conclusions
- Necessary initial education and communication on
Solvency II completed successfully - Quantitative Impact Studies proved to be
productive and helpful - Need for clear definition of the Solvency II
Project leader competent to drive necessary
changes in the regulatory environment in Poland - Need for effective harmonization between Polish
other local European supervisors - Need for improved communication between the
regulators/supervisors and the market