Pricing Excess US Workers Compensation

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Pricing Excess US Workers Compensation

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Title: Pricing Excess US Workers Compensation


1
Pricing Excess US Workers Compensation
  • July 16, 2007

CARe Meeting
Jose Couret London Underwriting Center
2
Outline
  • Terminology
  • Exposure Rating
  • Experience Rating
  • Impact of Benefit Changes
  • Questions

3
Terminology
4
TerminologyWorkers Compensation
  • Workers Compensation Policy
  • Coverage A Workers Compensation
  • Coverage B Employers Liability
  • Workers compensation coverage is statutory
    benefits are unlimited.
  • Employers Liability Losses generally make up less
    than 1 of the loss dollars (excluding F-classes
    and Maritime Classes).
  • Not separately rated
  • Limited, but increased limits available

5
TerminologyState Versus Federal Benefits
  • Benefits are state-specific however, some
    classes are subject to the Federal Act.
  • F-Class longshoremen, harbor workers, etc.
  • http//www.dol.gov/esa/owcp/dlhwc/lstable.htm
  • Federal benefits tend to be higher
  • Maximum weekly indemnity benefit is higher for F
    classes.
  • Currently, wage replacement is capped at
    1,114.44 /week
  • Wages relatively high
  • Federal benefits subject to escalation
  • Ratio of loss assessments to pure loss is much
    higher.
  • Important if assessments are part of UNL
  • Other acts Merchant Marine Act (Jones Act) /
    FELA, FECA

6
Terminology Premium
  • Manual PremiumPayroll in Hundreds x Manual Rate
  • Exceptions (e.g. per capita classes)
  • Standard Premium includes experience modification
    but is prior to the application of adjustments
    such as retrospective rating plan adjustments,
    schedule rating, and premium discounts.
  • Note Unit Statistical Plan definition may vary.
  • Net Premium is used to refer to the premium
    actually charged as opposed to the manual
    premium or modified premium. Does not mean net of
    reinsurance in this context.
  • Industry rate changes sometimes refer to
    changes in bureau rates or standard premium.
    During a soft market the industry rate changes
    may be flat while actual prices are plummeting.

7
Terminology Premium On-Level Factor
  • Net Premium On-Level Factor (AY)
  • Standard Premium On-Level Factor (AY)
  • x Ratio of Net to Standard (Future)
  • / by Ratio of Net to Standard (AY)

8
Exposure Rating
9
Exposure RatingDiscussion
  • Exposure rating is essentially a two-step process
  • step 1 come up with a ground-up loss ratio or
    loss by state and hazard group
  • step 2 allocate ground-up expected losses by
    layer
  • Within a given state, the manual rates are
    grossed up to the same permissible loss ratioso
    the expected loss ratio (to manual premium) is
    state-specific, not hazard group specific.
  • The percent allocation of loss by layer varies by
    HG, the more severe hazard groups having the
    higher excess loss costs.
  • Rating bureaus provide excess loss factors that
    specify the percent of ground-up loss in excess
    of a given percentage.
  • NCCI (20K/year)
  • WCIRBonline.org (California)
  • LERs
  • Other Independent Rating Bureaus

10
Exposure RatingUseful Data Sources (NCCI)
  • Annual Statistical Bulletin
  • Must have!
  • NCCI Calendar-Accident Year Underwriting Results
    (by State)
  • Free download at NCCI.com
  • Latest accident year now available is 2005
  • Source of default loss ratios by state
  • Need to adjust for subsequent rate level changes
    and trend
  • NCCI State Advisory Forum Presentations
  • Free downloads at NCCI.com
  • Great source of rate adequacy information
  • crucial information with workers compensation
    system stakeholders
  • NCCI Status of Rate Revision
  • 500/year
  • Latest bureau rate level information for NCCI
    states

11
Exposure RatingDiscussion
  • A key element of the excess percentage is the
    frequency of loss by injury type. Fatalities and
    permanent disabilities cost more than other
    injury types so when they have high relative
    frequency, more of the claims cost arises from
    large losses.
  • Relative Frequency claim count for the injury
    type divided by the claim count for temporary
    total.
  • Relative frequency for the more serious injury
    types should increase as one moves from a lower
    hazard group to a higher hazard group.
  • Fatal
  • Permanent Total
  • Major Permanent Partial

12
Exposure RatingAn ELF is a Weighted Average of
the ELFs by Injury Type
13
Exposure RatingVariation in Excess Loss Costs
Within and Between Hazard Groups Sample State,
4m XS 1M
14
Exposure RatingRating by Class Versus Rating by
Hazard Group
  • Hazard group approach accurate for most treaty
    business, since most books are sufficiently
    diversified within hazard groups.
  • Hazard group approach is probably not
    sufficiently refined for facultative pricing or
    specialty books.

15
Exposure RatingUse of Payroll in Exposure Rating
  • Are ground-up loss ratio picks reasonable?
  • Rates/Loss Costs for NCCI states are available in
    electronic format.
  • Cost for non-affiliates is 22K/year
  • Available (free) for many independent states on
    bureau web sites.
  • Also available through SilverPlume
  • Apply bureau loss cost rates to accounts payroll
    distribution by state and class.
  • Result should be consistent with loss ratio
    assumption.
  • Bureau loss cost rates typically are not pure
    loss
  • include allocated and unallocated loss adjustment
    expense and, sometimes, loss-based assessments.
  • Use of payroll weights as a proxy for expected
    loss weights in exposure rating understates
    excess loss costs since the average rate
    increases with hazard group.

16
Exposure RatingMaximum Any One Live (MAOL)
  • Overwhelming majority of serious workers
    compensation occurrences involve a single
    claimant.
  • Bureau statistical plans collect data on
    multi-claim occurrences impacting the same
    policy. Do not pick up clash between different
    policies that may be in the reinsurance treaty.
  • Surprisingly little difference between bureau per
    claim and per occurrence excess loss factors.
    Not intended to incorporate terrorism or certain
    non-ratable exposures.
  • Construction classes have higher incidence of
    multi-claim occurrences (anecdotal).
  • What fraction of the 5M XS 5M layer loss is
    eliminated by a 5M MAOL?

17
Exposure RatingMiscellaneous
  • Coding of premium to governing class (the class
    with the most payroll) may distort exposure
    rating.
  • A single policy may have exposure in multiple
    classes.
  • Should be manual or standard premium by state and
    class
  • Excess Loss Factors are produced by rating
    bureaus for Retrospective Rating, not reinsurance
    pricing.
  • Non-ratable classes with catastrophic experience
    not assigned a hazard group.
  • Example 0766 is non-ratable component of 4766
    EXPLOSIVES OR AMMUNITION MFG.
  • Ratio of ALAE to loss should reflect company
    experience.
  • California bureau (WCIRB.com) plan has nine
    hazard groups. A mapping to four hazard groups
    is available however, these are NOT equivalent
    to NCCI hazard groups.

18
Experience Rating
19
Experience RatingExcess Loss Reporting Patterns
  • Key driver company case reserving practices with
    respect to medical inflation
  • Do medical case reserves incorporate a medical
    inflation assumption?
  • Company discounting practice
  • Does the company have a Catastrophic Claims Unit?
  • Practice of settling fatal claims at present
    value reduces exposure in excess layers.
  • Fatal and pt claims close for less than the
    carried reserve even if reserves are inadequate.

20
Experience RatingRatio of Undiscounted to
Discounted Annuities
21
Experience RatingExcess Loss Reporting Patterns
  • At the May 11, 2007 AIS Research Workshop, NCCI
    released a study of excess loss and claim count
    reporting patterns based on Call 31.
  • https//www.ncci.com/ncci/media/pdf/AIS_2007_Exces
    s_Loss_Development.pdf
  • https//www.ncci.com/ncci/media/pdf/AIS_2007_WC_Ap
    pendix.pdf
  • Statutory excess of various attachment points.
  • Can be used in combination with ELFs to derive
    development patterns for limited layers
  • Layer LDF (ELF_at_AP
    ELF_at_(APL)) )
  • (ELF_at_AP/LDF_at_AP -
    ELF_at_(APL)/LDF_at_(APL)
  • Easy to build a spreadsheet tool to derive
    patterns for any layer.

22
Experience RatingExcess Loss Reporting Patterns
  • Consider a layer with attachment point AP and
    Limit L.
  • The reporting pattern for statutory XS AP is a
    weighted average of the patterns for
  • L XS AP
  • Statutory XS (AP L)
  • Question What if the average report lag for
    Statutory XS (AP L) is shorter than that for L
    XS AP? (This seems to be the case in NCCIs
    study.)
  • Answer The average report lag for the layer L XS
    AP will be greater than that for Statutory XS AP
  • Illustration (fictitious numbers) AP2M, L1M
  • Statutory XS 2M
  • Report lag 7 years
  • ELF7
  • Statutory XS 3M
  • Report lag 6 years
  • ELF5
  • 1M XS 2M
  • Report lag(7 x7 5 x 6)/(7 - 5) 9.5 years
  • ELF2

23
Experience RatingSpeculation on Excess
Development Patterns
  • Perhaps, the loss potential of very large claims,
    the kinds of claims likely to breach a 3M layer,
    is to some extent recognized early on.
  • Characterized by catastrophic medical costs
  • Other claims eventually over a long period of
    time creep their way into excess layers.
  • Not characterized by catastrophic medical costs
    or potential not recognized
  • Excess development driven in part by unwinding of
    the discount.
  • Such claims would perhaps eventually make it to
    1M, but not 3M.
  • The report lag for the lower layer would be
    lengthened by these slow developing claims but
    not the higher layer.
  • Unfortunately, development to a 22nd report not
    available below 2M.

24
Experience RatingLarge Loss Severity Trend
  • Using ground-up severity trends as a proxy for
    large loss trend in experience rating seemingly
    has an upward bias.
  • NCCI estimates that differential frequency trend
    accounted for perhaps 2-3 of the trend in the
    average cost per case.
  • For a discussion of this effect, see NCCIs 2006
    State of the Line Report.
  • In many states, indemnity benefits for PT and
    Fatal do not escalate.
  • Should consider changes in the maximum weekly
    benefit over the trend period.
  • Is inflation on attendant care more like wage
    inflation than medical inflation?
  • Second Injury Funds

25
Experience RatingLarge Loss Severity Trend
In the above illustration, ground-up trend of
6.47 overstates the true large loss trend of
5. The effect results from differential
frequency trend by injury type. NOTE For
illustration only, not based on real data.
26
Impact of Benefit Changeson Shape of
Size-of-Loss Distribution
27
Impact of Law Amendment FactorsGround-Up Versus
Excess
  • Law amendment factors are used to adjust
    historical losses to prospective benefit levels.
    Since rating bureaus derive these factors to
    estimate the impact on ground-up loss costs of a
    law change, we must be extremely careful when we
    apply these factors sometimes unknowingly --in
    pricing excess business.
  • For example, some law amendment factors reflect a
    shift of losses from one injury "bucket" to
    another. For example, a law that restricts
    access to permanent total benefits by tightening
    the definition of "permanent total" will have the
    effect of shifting claims from the permanent
    total category to the less generous major
    permanent partial category.
  • The expected dollars of pt loss will decrease
    significantly as a result of such a law change
    while the dollars of major permanent partial
    indemnity loss will increase by some
    less-than-offsetting amount.
  • Overall, there will be a decrease.
  • It is appropriate to apply such law amendment
    factors to ground-up losses in pricing
    proportional business but perhaps incorrect for
    non-proportional business.

28
Impact of Law Amendment FactorsGround-Up Versus
Excess (Illustration)
  • Before Law Change
  • 100 pt cases with an average severity of
    1,000,000.
  • Of these, 20 were borderline pt cases with an
    average severity of 400,000.
  • The remaining 80 claims had an average severity
    of 1,150,000. (1,000,000 .2 x 400,000 .8 x
    1,150,000)
  • 700 major permanent partial cases with an average
    severity of 200,000.
  • Effect of the Law Change
  • Shifts the 20 borderline pt claims to major pp.
  • The average severity for the 20 claims will be
    300,000 under the less generous pp benefits.

29
Impact of Law Amendment FactorsGround-Up Versus
Excess (Illustration)
  • The number of pt claims drops 20.
  • The average severity for pt claims increases from
    1,000,000 to 1,150,000 (15).
  • The dollars of PT loss decreases by 8, from
    100,000,000 to 92,000,000.
  • The number of major pp claims increases by 20
    claims (about 2.9).
  • The average severity for major pp claims
    increases by 1.4 (to 202,778)
  • The dollars of major pp loss increase by
    6,000,000.
  • Overall, losses are decreased by 2,000,000 due
    to the law change.
  • There may be no effect excess of 1,000,000.

30
Impact of Law Amendment FactorsConclusion
  • Reinsurers who best predict the differential
    impact of law changes by layer will have a
    competitive advantage.
  • Sources for Information on Law Amendment Factors
  • Annual Statistical Bulletin (ASB)
  • WCIRB has extensive information.
  • Other rating bureaus
  • GOOGLE

31
Questions
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