Title: Sylvain Goulet, FSA, FCIA, MAAA
1The Grand Hyatt, Mumbai, September 4, 2006
Sylvain Goulet, FSA, FCIA, MAAA
W. Paul McCrossan, FCIA
2Flexibility the key concept
- Move towards market consistent financial
statements means market changes must be able to
be reflected - Move towards total financial resources means
there is a need to explore probability
distribution functions of results (and not just
current estimates) - Move towards stress testing means there is a
need to be able to play what if
3What does flexibility imply for actuarial
practice? Almost the same as realism!
- assets and liabilities that are market
consistent and reflect changes in observed deep
liquid markets - explicit methods likely required / preferred over
implicit methods - current estimates should be available for all key
financial, economic, and contingent variables and
trends actively monitored and reflected - risk margins over current estimates should
reflect what an insurer would charge to assume
the risk - interest rates used should reflect current market
conditions - consistency of measurement of insurer assets and
liabilities
4The International Actuarial Association (IAA) has
Practice Guidance
- Seven IASPs so far (educational guidance)
- Several more in the works
- Plus the Blue Book
- Risk Margin Working Group report in the works
5Three Part Capability for Financial Reporting
Needed
- A flexible general purpose financial reporting
model should be developed and reconciliation of
any differences between the general purpose and
regulatory results should also be developed - Total financial resources adequate to the risks
assumed means risks must be assessed, monitored
and reflected - Stress testing (Dynamic Capital Adequacy
Testing) capability should be developed
6Ability to Perform the Liability Adequacy Test
Required Under IFRS 4
- Explicit models must be developed with which to
estimate future policy cash flows in order to
perform liability adequacy test. - Such future cash flows must reflect not only base
benefits but also any embedded guarantees,
options or derivative embedded in the contracts. - A comprehensive data base of all such embedded
features should be developed and maintained asap. - Current estimates of all relevant contingencies
must be made and emerging experience monitored.
This may require regulatory forbearance or
regulatory encouragement.
7Ability to Implement the Current Market Interest
Rate Option in IFRS 4 Should be Developed/Obtained
- There is no current requirement that current
market interest rates must be reflected in
insurance liabilities in IFRS 4. - Given the tentative decisions of the IASB Board
and the IAIS, it can safely be assumed that there
will be such a requirement. - The ability to test the effects of potential
movements in current market interest rates may be
required both to determine adequate total
financial resources and to develop DCAT
capabilities.
8Steps Should be Taken to Develop / Obtain
Liability Measurement Systems that Directly
Reflect Risk Margins
- Current IASB thinking is focused on initial
measurement and a no profit at issue criterion
is likely - Current IAIS thinking is focused on total
financial resources and both quantiles and
cost of capital methods are being examined - Subsequent measurement considerations may require
assumption by assumption application of the total
risk margin (in my opinion)
9Steps to be Taken to Handle Discretionary
Participation Features
- Document dividend / bonus practices (company and
legal constraints) - Ensure that liability measurement system can
handle explicit dividend / bonus practices
10Steps to be Taken to Prepare for Disclosure
- Effects of changes in key economic and actuarial
assumptions will likely be publicly disclosed - Effects of potential changes in economic and
actuarial assumptions may be required for
regulators / managements
11Thank You
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