Title: Where we are in Solvency II
1(No Transcript)
2Where we are in Solvency II key milestones
- CEIOPS implementing measures
- End October final advice wave 1 2
- ? Importance to have a concrete proposal on the
illiquidity premium - Nov Dec 2009
- 3rd Wave (4 weeks consultation period)
- Main topics
- Own funds (participations, quantitative limits,
ring fenced funds) - Equity risk sub module
- Calibration
- Centralized risk management
3Solvency II - QIS 5
- August November 2010 QIS 5
- July 2010 Spread sheet for the test
- June 2010 Publish final technical specification
- March 2010 QIS 5 technical specification and
comprehensive calibration paper - Calibration CEIOPS report
- March/June 2010 Consultation EIOPC, EP and
industry EC in the driving seat - December 2010 national Sup ? Central data base
- April 2011 Final QIS 5 report
-
4European Stress testing for the 30 major insurers
- Probably still in 2009
- CEIOPS Stress testing task force is well advanced
in the development of the stress test structure - not too complex
- scenarios translated in shocks
- will cover equities, commodities, real estate,
foreign exchange, default risk, spreads - no correlations
- Valuation basis still to be determined, depending
from the timing
5Solvency II - Level 2 implementing measures
- Three key messages from CEIOPS
- Implementing measures need to be conform to Level
1 text - Need to take into account the lessons learnt from
the crisis e.g. calibration, specific group
risks - Element of cross sectoral consistency needs to
be well monitored as banking framework is not
based on a market consistent valuation rather
than a mixed model
6Solvency II Implementing measures main concerns
wave 2
- Classification and Eligibility of own funds (CP
46) - Requirements for Tier 1 capital are more
restrictive than those agreed in the Directive - Useful less of hybrid capital instruments is
largely ignored - Maturity of capital instrument should not be
directly related to the insurers liabilities - Concept of grandfathering is currently missing
should be adequately reflected in the
implementing measures - Cross sector consistency for the determination of
eligible own funds is desirable - Assessment of group Solvency
- Risk of un-harmonized treatment for participants
by local supervisors - A quick decision on equivalent territories is
vital - Risk of non-recognition of diversification
benefits with third countries - Confusion around the concepts of diversification,
solvency and fungibility/transferability - Group-specific risks such as reputational risk,
contagion risk and the impact of intra-group
transactions, represent opportunity losses, hence
do not require additional capital
7Solvency II Implementing measures main concerns
wave 2
- Valuation of technical provisions (CP 40, and 42)
- CP 40 swap rates should be the preferred
risk-free rate - CP 40 a liquidity premium should be recognized
for certain lines of business - CP 42 risk margin should not be artificially
high - CP 42 an empty reference entity does not reflect
market valuation principles - CP 42 diversification across lines of business
should be recognized - Calibration SCR (CPs 48, 49, 51, 53 and 54)
- The proposed calibrated factors should be
economically justified - Internal Models (CP 56)
- Minimum standards for internal models should also
apply to standard model - A common approval process for internal model at
group and subsidiary level is required
8Solvency II - Framework Directive
- A review of the Directive should be made to
assess scope and impact of compromise - e.g. centralysed risk management (sub section 6)
- The transposition exercise is a risk element in
the process which should be monitored
9Solvency II System of Governance (CP 33)
- Agreement on main outlines of the advice
- Level of details in level 1, 2 3
- Important to take into account other existing
directives or certain elements such as
outsourcing - Responsibility of risk management is to set the
overall Enterprise Risk Management Framework and
to oversee the operators of the company to
ensure alignment with the framework - Risk governance
- Risk appetite (overall specific risk limits)
- Risk assessment valuation methodology
- Risk control framework (focus on operational
risk) - Governance with respect to insurance groups not
addressed
10Solvency II System of Governance
- Overlap in roles responsibilities between the
actuarial function the risk management function
? need clarification - Discussion on concept a scope of independence of
the actuarial function - Importance of the integration in the day to day
operations business decision - ? Consequence overlap with risk management
finance functions - Actuaries play various roles including in pricing
- The independence should be applied on the
valuation role ? express an opinion to the board
on certain matters such as reliability adequacy
of the technical provisions - No agreement on the fact that the actuarial
function shall rely on European technical
standards developed a body of representatives of
different stakeholders
11Sub section 6 Supervision of Groups Solvency
for groups with centralized Risk Management
- Understanding of the Subsection 6
- The subsection allows companies to submit an
application for - permission to be subject to Articles 236 and 238.
these articles - govern a strengthened cooperation and decision
process - (obligation to inform the college and procedure
for final decision - on the issue) in two specific cases
- Determination of the SCR for the subsidiary of a
group (including the capital add-on) normally
governed by Article 229 (Group internal model) - Non compliance with the SCR treated by Article
136 at solo level.
12Sub section 6 Supervision of Groups Solvency
for groups with centralized Risk Management
- To be eligible for this permission the following
conditions must - fulfilled (article 234)
- The subsidiaries concerned are included in the
scope of group supervision - The following conditions met
- The risk management processes and internal
control mechanism of the parent cover the
subsidiary - The supervisory authorities concerned are
satisfied as regards the prudent management of
the subsidiary by the parent - The group supervisor has agreed on the
preparation of a single document covering the
ORSA on Solo and Group levels - The group supervisor has agreed on the
preparation of a single solvency and financial
condition report for the whole group - A procedure consequence of the permission to
subject subsidiaries to - Articles 236 238 is that it neutralizes the
possibility for sub-group - supervision in jurisdictions other than that of
the parent company jurisdiction - (Article 214)