Report of Independent Expert into the transfer of insurance business from Financial Insurance Company Limited to Financial Assurance Company Limited

Size: px
Start display at page:

Download "Report of Independent Expert into the transfer of insurance business from Financial Insurance Company Limited to Financial Assurance Company Limited"

Transcription

1 Report of Independent Expert into the transfer of insurance business from Financial Insurance Company Limited to Financial Assurance Company Limited Prepared by David Lechmere Head of Insurance Consulting 28 November 2014

2 Contents 1. Introduction 1 2. Information on which the report is based 4 3. Summary of the Scheme 6 4. The Effect of the Scheme - Security 9 5. The Effect of the Scheme Benefit Expectations Conclusion 14 Appendix 1 Structure Chart 15 Appendix 2 Business to be transferred 16 Appendix 3 Type of business 17 Appendix 4 Reserving Methodology for FACL and FICL 18 Appendix 5 Financial Strength 20 Appendix 6 Documents Reviewed 21

3 1. Introduction 1.1. I have been instructed by Financial Insurance Company Limited (FICL) and Financial Assurance Company Limited (FACL) to report in the capacity of Independent Expert pursuant to Section 109(1) of the Financial Services and Markets Act (FSMA) on a Scheme of Transfer The purpose of the Scheme is to transfer the long term insurance elements of certain payment protection insurance policies (the Relevant Policies) with a term of exactly 60 months and which were underwritten by FICL from FICL to FACL (the Transfer) The Prudential Regulation Authority (PRA), having considered the skills needed to make a proper report, have approved my appointment as independent expert. This report has been prepared in a form which complies with the applicable rules on expert evidence and the Rules and Guidance made by the PRA and the Rules and Guidance made by the Financial Conduct Authority (FCA) and, in particular, the Guidance in paragraphs to of the Supervision Manual of the PRA Handbook and paragraphs to of the Supervision Manual of the FCA Handbook I am a Fellow of the Institute of Actuaries and I hold a current life practising certificate (including with profits) I have no financial interest in, nor have I previously advised in a professional capacity, FICL, FACL, or any company with the same ultimate parent I understand that it is the intention of FICL and FACL to make an application to the High Court under Section 107 of the FSMA for an Order under Section 111 sanctioning the Scheme and making provision under Section 112 for its implementation I understand that as an Independent Expert appointed pursuant to Section 109(1) of FSMA my duty is to the Court and that duty overrides any obligation to the party who has engaged me. As an Independent Expert reporting to the Court I am required to act in accordance with Part 35 of the Civil Procedure Rules, its practice direction and the Civil Justice Council s Protocol for the Instruction of Experts to give evidence in Civil Claims My Expert Declaration is included in Section 6 of this Report I understand that a copy of this Report will accompany the application to the High Court for the Scheme to be sanctioned and will be sent to the PRA and the FCA. I am aware that in accordance with the relevant applicable legislation, copies of this Report may be made available to policyholders and all other parties affected by the Transfer I have been engaged by FICL and FACL, who have contracted with my employer, OAC plc, for me to fill this role. The conclusions described in this Report are mine As the Independent Expert I must consider the consequences and potential consequences of the Transfer. 28 November

4 1.12. The scope of my report is to review the Scheme as it has been drafted. I am to review the effect on the security and benefit expectations of the policyholders and the beneficiaries under the policies. I have not considered any alternative proposals The Transfer is between two companies in the same group and therefore the key considerations are whether the Transfer has an adverse effect on either the security or the benefit expectations of the policyholders and the beneficiaries (the Beneficiaries) under the policies in the two companies My approach to assessing the likely effect of the proposed Transfer has been to: Identify the groups of policyholders affected; Understand the effect of the proposed Transfer on FICL and FACL in order to assist in assessing the effect on policyholders; Consider the likely effect of the Transfer on the security and benefit expectations of each group of policyholders and the Beneficiaries by comparing their position if the Transfer were or were not sanctioned; and Consider other aspects of the likely effects of the proposed Transfer In particular, I have taken into account the security and benefit expectations of the following groups: The policyholders of FICL with a Relevant Policy, the long term insurance elements of which will transfer to FACL under the terms of the proposed Transfer; The Beneficiaries under a Relevant Policy which was entered into between FICL and a financial institution (e.g. a bank or other affinity group) for the purposes of assigning benefits under the policy to its customers; and The policyholders of FACL (including those who become policyholders of FACL between the date of this Report and the Effective Date) The policyholders of FICL other than those with a Relevant Policy I also need to consider whether there should be any formal undertakings other than those given in or pursuant to the Scheme between FICL and FACL as a condition of the sanction by the Court of the Scheme and, if so, the form of those undertakings In preparing this report I have had full access to documents held by FICL and FACL. I have been provided with all the information which I have requested and had all my questions answered. In addition I have had access to, and discussions with, the management teams of the two firms and their professional advisers I have relied on the accuracy of the information which has been supplied to me, particularly where that information was in published documents such as the statutory returns. I have reviewed the calculations in workbooks supplied to me to ensure that the numbers are suitable for the purpose for which they are being used. I am satisfied 28 November

5 with the reasonableness of the information and the calculations. This includes reliance on the data, opinions and conclusions in the report of the Actuarial Function Holder. The Actuarial Function Holder holds a UK practising certificate and his report is prepared in accordance with relevant professional standards. I therefore believe it is reasonable to rely on the information it contains The proposed Transfer is within the Scope and Authority of the Technical Actuarial Standards published by the Financial Reporting Council and therefore my report is required to comply with those standards. The relevant standards are the Transformations TAS, and the generic TAS s, TAS(D) Data, TAS(M) Modelling and TAS(R) Reporting In terms of Data and Modelling I have relied on the information provided to me. I am satisfied that both data and models are suitable for the use to which they have been put I believe that this report is compliant with the Transformations TAS and the requirements of TAS(R) The Effective Date is the Effective Date as defined in the Scheme and is proposed to be 1 st May, November

6 2. Information on which the report is based FICL 2.1. FICL is a company incorporated in England and Wales with registered number The registered office of FICL is situated at Building 11, Chiswick Park, 566 Chiswick High Road, London W4 5XR FICL is an authorised person for the purposes of FSMA and has Part 4A permission under FSMA to carry on General Insurance Business in the United Kingdom in classes 1, 2, 3, 7, 8, 9, 13, 14, 16, 17 and 18 as set out in Part I of Schedule 1 to the Regulated Activities Order (RAO). and permission under FSMA to carry out long term reinsurance business in classes I, III and IV as set out in Part II of Schedule 1 to the RAO FICL is a wholly-owned subsidiary of Consolidated Insurance Group Limited which, in turn is a wholly-owned subsidiary of FACL. A structure chart is included as Appendix 1. FICL s principal activity is the transacting of general insurance business. FACL 2.4. FACL is a company incorporated in England and Wales with registered number The registered office of FACL is situated at Building 11, Chiswick Park, 566 Chiswick High Road, London W4 5XR FACL is an authorised person for the purposes of FSMA and has Part 4A permission under FSMA to carry on Insurance Business in the United Kingdom in classes 1 and 2 as set out in Part I of Schedule 1 to the RAO and in classes I, III and IV as set out in Part II of Schedule 1 to the RAO FACL is a wholly owned subsidiary of Genworth Financial UK Holdings Limited (Genworth). Its principal activity is writing long term insurance business in Europe. It also operates in Turkey and South Korea. Other Information 2.7. FICL and FACL are both subsidiary companies of Genworth Financial UK Holdings Limited. A structure chart showing the relationship of the companies is included in Appendix A list of the documents supplied to me and which I have considered is shown in Appendix 6. Policies 2.9. FICL and FACL are complementary in their operations and both operate under the Genworth Financial brand. The Genworth Lifestyle protection division of Genworth Financial sells policies which provide cover against losses arising from accident, sickness or unemployment (which include the Relevant Policies). Accident and sickness benefits 28 November

7 arising under an insurance policy with a term of 60 months or more and which is not terminable by the insurer or only terminable in special circumstances are classified as long term insurance business and are underwritten by FACL. Other insured benefits available under the policy are classified as general insurance business and are underwritten by FICL To the person insured the cover is presented as a single policy covering all risks and the administration of the policy reflects this In most cases the policy is issued under a group arrangement. This means that a financial institution (Group Policyholder) will have a group policy underwritten by FACL and FICL (trading as Genworth Financial) and will assign benefits arising under that policy to individuals to protect their transactions (for example, mortgage payments) with the financial institution. This means that in most cases the ultimate beneficiary will have no direct contact with FICL or FACL and will deal only with the financial institution which in turn will deal with FICL and FACL A description of the types of contract written is shown in Appendix 3. A summary of the long term insurance business and assets of FACL is set out in Appendix 5. Options The Relevant Policies do not contain any particular options, and there will be no changes to any benefits under the Relevant Policies as a result of the Transfer. 28 November

8 3. Summary of the Scheme Transferring Long Term Business 3.1. The business to be transferred consists of the long term elements of various policies written within FICL with a term of exactly 60 months. Schedule 1 to The Financial Services and Markets Act 2000 (Regulated Activities) Order 2001 prescribes that if a policy providing accident or sickness benefits has a term of five years or more it shall be classified as long term business Genworth had been allocating the sickness elements of policies to FACL if the term was more than 60 months and to FICL if the term was 60 months or less. There is therefore a block of business within FICL with a term of exactly 60 months of which the sickness elements are long term business according to the Regulated Activities Order and FICL is not authorised to underwrite these sickness elements The purpose of the Scheme is to transfer the long term elements of the Relevant Policies from FICL to FACL. The Transfer will not create a new policy but will simply result in the continuation of the existing policy, with certain elements of cover being provided by FICL and other elements of cover provided by FACL. Jurisdiction of Policyholders 3.4. The Relevant Policies are issued in a number of European countries. A list is included in Appendix 2. There are no Relevant Policies in the UK. The Relevant Policies were either underwritten through a branch of FICL in the relevant country, or on a freedom of services basis. Effect of the Transfer 3.5. I have been provided with a copy of the Scheme in respect of the proposed Transfer Under the Scheme, the long term insurance elements of the Relevant Policies will transfer from FICL to FACL at the Effective Date An amount of assets defined in the Scheme as the Transferred Long Term Assets will be transferred from FICL to FACL to cover the increase in technical provisions caused by the Transfer. The calculation of this amount is covered later in this section All premiums and other sums payable to FICL in respect of the long term elements of the Relevant Policies will, from the Effective Date, become payable to FACL FACL will assume all the liabilities in respect of the long term business elements of the Relevant Policies, including the responsibility to pay claims Table 1 in Appendix 2 shows the number of Beneficiaries whose policies are being transferred by the Scheme, the technical provisions established for them in FICL and the technical provisions which will be required in FACL. 28 November

9 3.11. To put this transfer into context the technical provisions of 1.7m in FICL for these policies represent less than 1% of the total technical provisions in FICL. Assets Transferred in respect of the Transferring Long Term Business The amount of assets to be transferred has been calculated separately for each territory For each territory the starting figure for the amount of assets to be transferred is the amount needed to cover the technical provisions required in FACL less Deferred Acquisition Costs (DAC). Territory Assets. This amount is defined in the Scheme as the Total FACL A similar calculation is made in FICL and the amount is defined in the Scheme as the Total FICL Territory Assets Where the Total FACL Territory Assets amount is less than the Total FICL Territory Assets amount then an additional amount equal to 50% of the difference between the two will be added to the amount to be transferred. This is defined in the Scheme as the FICL Remainder The purpose of this calculation is to ensure that a fair price is paid for the business being transferred so that it can be regarded as being on an arms length basis for tax purposes The amount to be transferred, The Transferred Long Term Assets is the sum of the Total FACL Territory Assets and The FICL Remainder and is shown in Table 2 in Appendix 2. The amount to be transferred is calculated as 1.7m based on the business in force at 31 December This is less than 1% of the total technical provisions in either FICL or FACL. Reinsurance Arrangements There are a number of external reinsurance treaties in place for the business of FICL and FACL. These treaties are on a quota share basis and are issued at a portfolio level. I have been informed by the management team of FICL and FACL that the only Relevant Policy subject to such external reinsurance arrangements is an Italian Group policy. However the cover under this treaty is calculated at the level of the portfolio including the covers provided by both FICL and FACL. This means that the Transfer will have no practical effect on the amount of reinsurance cover provided and will have no impact at all on the group policyholder, as the reinsurance agreement represents protection for the combined FICL and FACL covers under this policy There are also internal reinsurance arrangements in place between FICL and Financial Insurance Guernsey PCC Limited ( FIG ) and between FACL and FIG. Under these arrangements, FICL and FACL reinsure elements of their business to FIG including the cover under some of the Relevant Policies. FIG is a wholly owned subsidiary of the wider Genworth group. On the completion of the Transfer, the cover under those Relevant 28 November

10 Policies which are currently reinsured by FICL to FIG under these arrangements will be transferred to FACL and reinsured by it to FIG on the same terms In the event of a claim under a Relevant Policy FICL (or FACL) will remain liable to pay the full amount of the claim to the Beneficiary, regardless of whether or not the policy is covered by a reinsurance agreement. This means that there will be no impact on the security afforded to the policyholders or the Beneficiaries of these Relevant Policies or on the FACL policyholders as a result of the Transfer I have been informed by the management team of FICL and FACL that there are no other internal reinsurance arrangements which have an impact on the Relevant Policies. Circularisation of policyholders Notification of the Scheme will be published in national newspapers and Group Policyholders will be contacted directly. Although there is no intention for FICL or FACL to notify the beneficiaries under the Group policies, the Group policyholders will be requested to do so. The main reasons for not notifying Beneficiaries directly are as follows: There will be no change to the administration or claims handling of the policies as a result of the Transfer These policies are held under a group arrangement and FICL does not have access to details of individual Beneficiaries The exercise would be disproportionately expensive given that there is no practical impact on the Beneficiaries. Costs of the Scheme The costs of the Scheme and in particular this Report and any supplemental reports will be met by FACL. Transfer The rights under the contracts will not be changed as a result of the Transfer It is proposed that the transfer will take place on 1 May Reserving and Regulatory Capital The amount being transferred from FICL to FACL is intended to cover the amount of the technical provisions that will be established in FACL. The regulatory capital requirements in respect of the transferred long term business will be met by assets already within FACL. 28 November

11 4. The Effect of the Scheme - Security 4.1. In this section I consider the Scheme as it affects the policyholders of FICL and FACL and the Beneficiaries under those policies, with particular regard to their security. The effect on benefit expectations and other contractual conditions is considered in Section The current security of the policyholders relies on the margins which exist in the reserving bases adopted, in the capital required by the PRA Rules, and in the free reserves or shareholders capital of FACL and FICL In accordance with the requirements of the Prudential Sourcebook for Insurers (INSPRU) FACL and FICL have set up reserves using prudent assumptions. I have reviewed the report produced by the Actuarial Function Holder on the valuation of FICL and FACL at 31 December This describes the various prudential margins included in the assumptions, compared with the actual experience and I am satisfied that the methods and assumptions adopted by FACL and FICL in calculating the technical provisions are sufficiently prudent. A description of the approach to calculating provisions is included in Appendix In addition to technical provisions calculated on a prudent basis every insurer that writes long term business is required to calculate and hold a long term insurance capital requirement (LTICR). This is an amount calculated in proportion to the mathematical reserves and sums at risk and is intended as protection against adverse experience or other adverse circumstances Firms transacting long term insurance business are also required to test the resilience of their portfolio to changes in the value of the assets backing the mathematical reserves, and to hold additional capital if necessary. This is known as the resilience capital requirement (RCR) and is in addition to the LTICR For insurance companies such as FACL the total Capital Resources Requirement (CRR) is equal to the LTICR plus the RCR. However it is also subject to a fixed minimum amount, the Base Capital Resources Requirement (BCCR) regardless of the size of the insurer An insurer which writes general insurance business is also required to hold solvency capital, but the calculation is different. The calculation method requires that the insurer calculates a CRR based either on a percentage or premiums received or of claims incurred, whichever gives the higher result The requirements for calculating the CRR are known as the Pillar 1 basis calculations In addition the PRA requires all insurance firms to carry out an Individual Capital Assessment which assesses all the specific risks of the business and requires firms to demonstrate that they are sufficiently well capitalised to provide the capital needed to cover those risks. This is known as the Pillar 2 calculation. 28 November

12 4.10. The PRA is empowered to give Individual Capital Guidance if it considers that a firm s Pillar 2 calculations may not have provided sufficiently for all the risks to which it is subject. FICL has been given such guidance The table in Appendix 5 shows that both insurers are strongly capitalised on a Pillar 1 basis. FACL on its own has more than three times the required amount of capital and, when FICL is consolidated, the combined companies have available capital of more than four times the regulatory requirements, and therefore the security of the policyholders and the Beneficiaries is not in question The top half of the table in Appendix 5 shows the capital position at 31 December 2013 and the bottom half shows the capital position assuming the Transfer took place at that date. This demonstrates that the available capital is reduced by a small amount as a result of the Transfer. The reason for this is that the basis for calculating technical provisions in FACL differs from that in FICL and requires slightly higher amounts. In addition, deferred acquisition costs can be counted as an asset in FICL but are not an admissible asset for solvency purposes in FACL While the actual amount of excess capital in FACL on a Pillar 1 basis is slightly smaller after the Transfer, the overall capital situation remains very strong with excess capital equal to 320% of the statutory requirement based on figures at 31 December 2013 compared to 322% without the Transfer. It can be seen that the difference is very small On the Pillar 2 basis the excess capital in FACL after the Transfer reduces slightly, however FACL will still be strongly capitalised, and the excess capital in FICL is also slightly reduced, but both companies remain strongly capitalised on both the Pillar 1 and the Pillar 2 basis The business being transferred represents a small percentage (less than 1%) of each portfolio. In my opinion the Transfer of the long term insurance elements of the Relevant Policies from FICL to FACL will have no impact on the security of the policyholders and the Beneficiaries because the effect of the Transfer on the capital position is negligible and both firms will still be strongly capitalised This applies to all the groups of policyholders identified in Paragraph It should also be noted that while there will be a slight temporary reduction in free capital in FACL as a result of the inadmissibility of deferred acquisition costs as an asset in a long term business fund, there will be no change to the ultimate financial strength and profitability of the group of companies. This is because the actual cash flows will not be changed as a result of the Transfer and therefore the eventual profitability of the transferred business will remain the same The current regulatory capital regime for insurers is due to be replaced by a new European Directive, referred to as Solvency II. This is expected to be implemented no earlier than The Directive framework has been agreed and the implementing 28 November

13 measures are in the draft stage, but the precise rules for assessing solvency have not been finalised The Solvency II implementation activities are being coordinated across FICL and FACL and as such, this Scheme will not affect the readiness of either FICL or FACL in meeting the Solvency II requirements While it is likely that the new requirements of Solvency II will have an impact on the capital position of FICL and FACL the impact will be virtually the same whether or not the Transfer takes place as the amount of business being transferred is such a small part of the total business transacted. I therefore do not consider that the Transfer will make a material difference to the relative financial strength of the two firms under the Solvency II regime I have consulted the actuarial function holder of FACL and I consider that there are no material operational risks arising from this Transfer which would affect the security of either set of policyholders or the Beneficiaries. This is because, as explained in paragraph 5.3, there will be no change to the operational and administrative arrangements as a result of the Transfer My conclusion is that the proposed scheme has no adverse effects on the security of the policyholders of FICL and FACL and the Beneficiaries, as the reduction in free capital is immaterial in the context of the free capital available in the companies and both companies remain strongly capitalised This report was drafted based on the data used for the valuation at 31 December Since that date Genworth Financial Incorporated (GFI), the ultimate parent of FICL and FACL has published its results for the third quarter of 2014 which showed substantial losses. As a result of this publication various rating agencies have reviewed their assessment of GFI and some have downgraded their ratings The losses in GFI arise from a review of claims reserves on existing claims, where an increase in available company data has shown that previous assumptions based on industry data may not have been sufficiently strong, so GFI has strengthened its reserving basis for its long term care insurance business, particularly in respect of longstanding claims. In addition GFI has written down the amount of goodwill it shows as an asset in the light of wanting to move away from certain types of product with low potential profitability It should be noted that even after posting a loss in Q3 GFI still has $17bn of equity capital and total assets of 110bn The only rating agency to comment on FICL and FACL (as subsidiaries of GFI) is Standard and Poor s (S&P). It has left the current rating (A-) unchanged but has placed the rating on Creditwatch negative. This is because S&P is assessing the extent to which FACL and FICL are insulated from the results of GFI. The normal S&P policy is that a subsidiary cannot have a higher rating than the parent unless the subsidiary is 28 November

14 insulated. If S&P consider that FACL and FICL are insulated from the Genworth core US life entities then the existing ratings will stand with a negative outlook. Otherwise the ratings will be reduced to BBB+ in line with the rating of GFI s U.S. based life insurance entities. The BBB rating is defined as adequate capacity to meet financial commitments and FACL and FICL will be one notch above that Both FACL and FICL are required to abide by the Rules in the PRA Handbook which prevent funds from being transferred out which would impair the security of policyholders. They are also both subject to the PRA s capital requirements. I understand there are no plans to remove capital from FACL or FICL without the agreement of the PRA The transfer of the covers under the Relevant Policies is from one company within the Genworth group to another and, as I have stated above, there is no change in the security level of the policyholders and Beneficiaries because both companies are subsidiaries of the same parent. A reduction in the credit rating of the parent or other entities in the Genworth group does not directly affect the amount of capital in FACL or FICL and therefore I do not consider that the downgrading of the credit rating of GFI or other entities in the Genworth group has a material effect on the Transfer The final Court hearing is scheduled for April next year. Before that hearing I expect to issue an update of this report which will include financial information as at 31 December 2014 and this will demonstrate whether there is any significant impact on the capital position of FACL and FICL arising out of recent events, which I should consider in terms of my report and conclusions. 28 November

15 5. The Effect of the Scheme Benefit Expectations Benefits, Guarantees and Options 5.1. The contractual benefit expectations of the policyholders and of the Beneficiaries under the Relevant Policies remain unchanged by the Scheme. Management Charges 5.2. The terms of the policy are fixed at outset and there is no discretion to vary them. Therefore the Transfer will have no effect on the terms and conditions of the Relevant Policies, or on the charges included in the premiums. Administration 5.3. The administration of the Relevant Policies is undertaken either by the distributor or by companies within the Genworth group. Claim handling is undertaken by companies within the Genworth group. The precise company will vary according to the country in which the business is written In each case the policy is treated as a single policy comprising general and long term elements, and therefore the administration and claims handling will remain unchanged after the Transfer. This means that the proposed Transfer will make no difference at all to the administration of these policies. Summary 5.5. I consider that the benefit expectations of the Beneficiaries of the Relevant Policies will not be affected in any way by the proposed Transfer. I also consider that the benefit expectations of the long term policyholders and beneficiaries of policies underwritten by FACL will not be adversely affected as a result of the Scheme. The benefit expectations of the existing policyholders of FICL will not be affected in any way as a result of the Scheme. 28 November

16 6. Conclusion 6.1. It is my opinion that the proposed Transfer does not have any adverse impact on the policyholders or the Beneficiaries under the Relevant Policies. This is because their contractual benefits and premiums payable remain unchanged It is my opinion that the proposed Transfer does not have any adverse impact on the policyholders in FICL or the policyholders in FACL It is my opinion that the Transfer does not introduce any significant additional operational risks into FACL It is my opinion that as the administration of the Relevant Policies will be unchanged there will not be any adverse effect on administration as a result of the Scheme I therefore conclude that there is no reason, in terms of maintaining the interests of policyholders and Beneficiaries, why the Transfer should not proceed I consider that there is no need for any additional covenants or undertakings from FACL or FICL other than those given in, or pursuant to, the terms of the Scheme I have stated in paragraph 1.7 above that I understand my duty is to the Court and I confirm that I believe I have acted in compliance with that duty in producing this report I confirm that I have made clear which facts and matters referred to in this report are within my own knowledge and which are not. Those that are within my own knowledge I confirm to be true. The opinions I have expressed represent my true and complete professional opinions on the matters to which they refer. David Lechmere FIA Head of Insurance Consulting OAC Actuaries and Consultants 28 November

17 Appendix 1 Structure Chart Genworth Financial, Inc. (US) Genworth Holdings, Inc. (US) Genworth Financial International Holdings, Inc (US) Regulated by FCA as insurance intermediary Regulated by PRA and FCA as insurance company Brookfield Life Assurance Company Limited (Bermuda) Brookfield Life and Annuity Insurance Company Limited (Bermuda) Genworth Financial European Group Holdings Limited Genworth Financial UK Holdings Limited Financial Insurance Group Services Limited Financial Assurance Company Limited Consolidated Insurance Group Limited All shareholdings 100% unless stated otherwise Financial Insurance Company Limited 28 November

18 Appendix 2 Business to be transferred Table 1 - Technical provisions for the long term insurance elements of the Relevant Policies The amounts shown are calculated as at 31 December Policy Liabilities ( 000 s) Country Beneficiaries Transferred to FACL FICL reserving basis for relevant policies FACL reserving basis for relevant policies France 18, Germany 6, Greece Ireland 1, Italy 8, Poland 1, Spain 14, TOTAL 51,531 1,746 2,794 This table shows the number of beneficiaries being transferred to FACL. It also shows the amount of technical provisions for the transferring long term insurance elements in FICL and the corresponding technical provisions that will be required in FACL. Table 2 - Amount of Assets being transferred The amounts shown are calculated as at 31 December All figures are in 000s. Country Reserve in FICL (less DAC) Reserve in FACL (less DAC) Amount to be transferred France Germany Greece Ireland Italy Poland Spain TOTAL 1,142 1,677 1,721 This table shows the amount that will be transferred based on the business in force at 31 December November

19 Appendix 3 Type of business Summary of the nature of the business Genworth Financial Lifestyle Protection ("Genworth") provides lifestyle protection insurance ("LPI") products to individuals via a variety of banks and other financial institutions across a number of European markets and in Turkey. LPI utilises two UK regulated insurance companies, Financial Assurance Company Limited ( FACL ), a life insurance company, and Financial Insurance Company Limited ( FICL ), a general insurance company, to underwrite its products via branches and freedom of service establishments. The products provide cover against involuntary unemployment, life and accident and sickness. The contracts are either funded by a single premium payable at outset or by a series of regular premiums. They are normally taken out in conjunction with a loan and are designed to repay the loan instalments in the event that the borrower is unable to work as a result of unemployment, sickness, an accident causing loss of a limb, or death. The cover will last for the period of the loan which is why the cover can be for periods of five or more years. Life cover and sickness cover where the contract term is five years or more is classified as long term business in the UK and must be written in a company authorised to transact such business, which FACL is. 28 November

20 Appendix 4 Reserving Methodology for FACL and FICL Reserving Approach for UK Statutory Reserves and DAC The reserving approach and the approach to the establishment of technical provisions are set out in sections R (for general insurance business) and R (for long-term insurance business) of the Insurance Prudential Source Book (INSPRU). It includes the establishment of a premium reserve, a claims reserve and deferred acquisition costs (DAC). DAC is inadmissible for FACL for the purposes of determining the solvency requirements. Reserving Methodology for FACL s premium reserves Premium reserving for FACL is determined by the requirements of International Financial Reporting Standard 27 and the Rules in INSPRU. The reserves are calculated on a prudential basis using a prospective actuarial valuation methodology. This methodology is based on prudent assumptions that are used to determine future cash flows expected to arise for each of its long-term contracts. The cash flows are discounted to the valuation date and subject to a guaranteed surrender value floor. Reserving Methodology for FICL s premium reserves Premium reserves for single premium business are calculated using an unearned premium reserve methodology. The provision for unearned premiums is computed separately for each insurance contract. FICL s standard premium earning rules for single premium business is Rule of 12 (i.e. earned uniformly over the term of the contract) for Involuntary Unemployment (IU) and Rule of 45 (where more is earned up front) for Disability businesses. However, special earnings patterns were introduced in 2008 to reflect the recession and the forecast emergence of claims cost, and have been updated annually thereafter for each underwriting year cohort. Methodology and approach for determining Claim Reserves FACL and FICL use identical claim reserving platforms and approaches to determine claims reserves. Therefore, the claim reserving impact of the 60 month reallocated business from FICL to FACL is expected to be nil. The Chain Ladder reserving method, which relies principally on continuing stable claim development patterns, is considered to be particularly suited for the determination of claims reserves. The results produced by the chain ladder method are not adjusted on an ad hoc basis nor is any discounting allowed for, resulting in an implicit margin in the reserve estimates. There are a number of stages involved in estimating the claims reserves: In Course Of Payment (ICOP) reserves are estimated by looking at the probabilities of one or more subsequent payments being made on each existing in-force claim. Registered But Not Paid (RBNP) reserves are estimated by looking at the probability of any payment being made on any pending claims and the probabilities of one or more subsequent payments being made. The Chain Ladder Method based on incurred claims is used to calculate ultimate claims costs by month of accident. 28 November

21 Incurred But Not Reported (IBNR) reserves represent the difference between projected ultimate claims and the claims payments to date, ICOP and RBNP. For new countries where there is little historic data or few claims, a loss ratio approach to claims reserving is taken, initially based on the pricing assumptions. Claims reserves are calculated one month in arrears for financial reporting purposes due to time constraints. This one month delay is not considered to have a material impact on the claims reserves. Claim payments are up-to-date for reporting purposes, so monthly timing differences can sometimes arise if large movements occur, though these are broadly smoothed out over a 12 month period. Deferred Acquisition Costs (DAC) For FICL, commission and other related acquisition expenses are deferred over the same period and in the same proportion as the related earned premiums. For FACL, the DAC is calculated as the lower of the unearned commission and the discounted value of future margins (including the impact of any guaranteed refunds) in the valuation basis. 28 November

22 Appendix 5 Financial Strength Individual and potential combined capital positions Pillar 1 Basis as at 31 December 2013 Figures are in m. Capital Position before Transfer FACL Solo FICL Solo FACL(Group) Capital Resources Capital Resources Requirement Excess of Capital Resources over Capital Requirement Excess Capital as a percentage of Capital Requirement % % % Capital Position after Transfer Capital Resources Capital Resources Requirement Excess of Capital Resources over Capital Requirement Excess Capital as a percentage of Capital Requirement % % % The figures for FACL are shown both as a solo entity and with the consolidation of its subsidiary FICL. It can be seen that for both FACL and FICL the change in excess capital is insignificant in relation to the amount of free capital available. 28 November

23 Appendix 6 Documents Reviewed I have been provided with the following documents in respect of FICL: The Memorandum and Articles of Association The Annual reports and Accounts as at 31 December 2011, 2012 and 2013 The Annual Regulatory Returns as at 31 December 2011, 2012 and 2013 The Individual Capital Assessment performed at 31 December 2012 and 31 December Reports by the Actuarial Function Holder to the Directors on the valuation at 31 December 2012 and 31 December I have been provided with the following documents in respect of FACL: The Memorandum and Articles of Association The Annual reports and Accounts as at 31 December 2011, 2012 and 2013 The Annual Regulatory Returns as at 31 December 2011, 2012 and 2013 The Individual Capital Assessments performed at 31 December 2011, 2012 and 2013 Reports by the Actuarial Function Holder to the Directors on the valuation at 31 December 2011, 31 December 2012 and 31 December I have also been provided with: A copy of the Scheme and the accompanying witness statements. A report prepared by the Actuarial Function Holder of FACL setting out the financial implications of the scheme. A workbook which shows the calculation of the technical provisions for the transferring policies on the basis used in FICL and the basis which will be used in FACL. A workbook which calculates the Pillar 1 and Pillar 2 capital requirements for FICL and FACL at 31 December 2013 Specimen literature for the product lines of which the Relevant Policies are part. (Most of the literature is in the local language of the state of commitment, and I have been provided with literature relating to Ireland and received assurances that this is a fair representation of the Relevant Policies.) 28 November

Summary of the Scheme and of the Independent Expert's Report BACKGROUND

Summary of the Scheme and of the Independent Expert's Report BACKGROUND TRANSFER OF ANNUITY BUSINESS OF THE EQUITABLE LIFE ASSURANCE SOCIETY TO CANADA LIFE LIMITED Summary of the Scheme and of the Independent Expert's Report BACKGROUND It is proposed that certain annuity business

More information

Scottish Widows Unit Funds Limited

Scottish Widows Unit Funds Limited Scottish Widows Unit Funds Limited Annual PRA Insurance Returns for the ended 31 December 2015 IPRU(INS) Appendices 9.1, 9.3, 9.4, 9.6 Balance Sheet and Profit and Loss Account Contents Long Term Insurance

More information

Standard Life Assurance Limited OCTOBER 2013. Principles and Practices of Financial Management for the Heritage With Profits Fund

Standard Life Assurance Limited OCTOBER 2013. Principles and Practices of Financial Management for the Heritage With Profits Fund Standard Life Assurance Limited OCTOBER 2013 Principles and Practices of Financial Management for the Heritage With Profits Fund Preface... 3 Background to the Principles and Practices of Financial Management...

More information

Scottish Widows Annuities Limited

Scottish Widows Annuities Limited Annual PRA Insurance Returns for the ended 31 December 2015 IPRU(INS) Appendices 9.1, 9.3, 9.4, 9.6 Balance Sheet and Profit and Loss Account Contents Long Term Insurance Business: Revenue Account and

More information

Insurance Business Transfer from Eagle Star Insurance Company Limited s Maltese Branch to Zurich Assurance Ltd s Maltese Branch

Insurance Business Transfer from Eagle Star Insurance Company Limited s Maltese Branch to Zurich Assurance Ltd s Maltese Branch Insurance Business Transfer from Eagle Star Insurance Company Limited s Maltese Branch to Zurich Assurance Ltd s Maltese Branch Report of the Independent Expert under Section 109 of the Financial Services

More information

THE EQUITABLE LIFE ASSURANCE SOCIETY

THE EQUITABLE LIFE ASSURANCE SOCIETY THE EQUITABLE LIFE ASSURANCE SOCIETY Annual PRA Insurance Returns for the year ended 31 December 2013 Appendices 9.1, 9.3, 9.4, 9.4A & 9.6 from the Interim Prudential Sourcebook for Insurers Registered

More information

Actuarial Report. On the Proposed Transfer of the Life Insurance Business from. Asteron Life Limited. Suncorp Life & Superannuation Limited

Actuarial Report. On the Proposed Transfer of the Life Insurance Business from. Asteron Life Limited. Suncorp Life & Superannuation Limited Actuarial Report On the Proposed Transfer of the Life Insurance Business from Asteron Life Limited to Suncorp Life & Superannuation Limited Actuarial Report Page 1 of 47 1. Executive Summary 1.1 Background

More information

The Standard Life Assurance Company 2006

The Standard Life Assurance Company 2006 The Standard Life Assurance Company 2006 Annual PRA Insurance Returns for the financial year ended 31 December 2014 Prepared in accordance with the Accounts and Statements Rules (Appendices 9.1, 9.3, 9.4

More information

GN8: Additional Guidance on valuation of long-term insurance business

GN8: Additional Guidance on valuation of long-term insurance business GN8: Additional Guidance on valuation of long-term insurance business Classification Practice Standard MEMBERS ARE REMINDED THAT THEY MUST ALWAYS COMPLY WITH THE PROFESSIONAL CONDUCT STANDARDS (PCS) AND

More information

The Prudential Regulation Authority s approach to insurance business transfers

The Prudential Regulation Authority s approach to insurance business transfers Statement of Policy The Prudential Regulation Authority s approach to insurance business transfers April 2015 Prudential Regulation Authority 20 Moorgate London EC2R 6DA Prudential Regulation Authority,

More information

A. Summary of the Scheme

A. Summary of the Scheme TRANSFER OF LONG TERM INSURANCE BUSINESS OF CGNU LIFE ASSURANCES LIMITED, COMMERCIAL UNION LIFE ASSURANCE COMPANY LIMITED AND NORWICH UNION LIFE (RBS) LIMITED TO AVIVA LIFE & PENSIONS UK LIMITED (FORMERLY

More information

SUMMARY OF ACRONYMS 3. 1. INTRODUCTION 5 Background 5 Reliances and Limitations 5 Information considered 5 Regulatory and Professional Guidance 6

SUMMARY OF ACRONYMS 3. 1. INTRODUCTION 5 Background 5 Reliances and Limitations 5 Information considered 5 Regulatory and Professional Guidance 6 Supplementary Report of the Independent Expert on the terms of the proposed Insurance Business Scheme for the transfer of to 11 Old Jewry London, EC2R 8DU United Kingdom Prepared by: JL McKenzie, FFA Tel

More information

Phoenix Life Assurance Limited. Phoenix Life Assurance Limited. Principles and Practices of Financial Management

Phoenix Life Assurance Limited. Phoenix Life Assurance Limited. Principles and Practices of Financial Management Phoenix Life Assurance Limited Phoenix Life Assurance Limited Principles and Practices of Financial Management July 2015 Phoenix Life Assurance Limited Principles and Practices of Financial Management

More information

ACCOUNTING STANDARDS BOARD DECEMBER 2004 FRS 27 27LIFE ASSURANCE STANDARD FINANCIAL REPORTING ACCOUNTING STANDARDS BOARD

ACCOUNTING STANDARDS BOARD DECEMBER 2004 FRS 27 27LIFE ASSURANCE STANDARD FINANCIAL REPORTING ACCOUNTING STANDARDS BOARD ACCOUNTING STANDARDS BOARD DECEMBER 2004 FRS 27 27LIFE ASSURANCE FINANCIAL REPORTING STANDARD ACCOUNTING STANDARDS BOARD Financial Reporting Standard 27 'Life Assurance' is issued by the Accounting Standards

More information

GUIDE TO ESTABLISHING INSURANCE COMPANIES IN GUERNSEY

GUIDE TO ESTABLISHING INSURANCE COMPANIES IN GUERNSEY GUIDE TO ESTABLISHING INSURANCE COMPANIES IN GUERNSEY CONTENTS PREFACE 1 1. Introduction 2 2. Authorisation 2 3. Minimum Criteria for Licensing 2 4. Requirements for Licensing under the Insurance Law 3

More information

Reserving Requirements for Non-Life Insurers and Non-Life and Life Reinsurers

Reserving Requirements for Non-Life Insurers and Non-Life and Life Reinsurers 2014 Reserving Requirements for Non-Life Insurers and Non-Life and Life Reinsurers 1 Reserving Requirements for Non-Life Insurers and Non-Life and Life Reinsurers Contents Introduction... 3 Definitions...

More information

Consultation Paper CP22/14. The Prudential Regulation Authority s approach to with-profits insurance business

Consultation Paper CP22/14. The Prudential Regulation Authority s approach to with-profits insurance business Consultation Paper CP22/14 The Prudential Regulation Authority s approach to with-profits insurance business October 2014 Prudential Regulation Authority 20 Moorgate London EC2R 6DA Prudential Regulation

More information

EXPLANATORY STATEMENT

EXPLANATORY STATEMENT EXPLANATOR STATEMENT INTRODUCTION As part of an internal reorganisation of the RSA Group s operations in the United Kingdom, it is proposed that certain general insurance and/or reinsurance business written

More information

The Prudential Assurance Company Limited

The Prudential Assurance Company Limited The Prudential Assurance Company Limited Annual PRA Insurance Returns for the year ended 31 December 2015 IPRU(INS) Appendices 9.1, 9.2, 9.3, 9.4, 9.4A, 9.5, 9.6 Balance Sheet and Profit and Loss Account

More information

POLICYHOLDER CIRCULAR

POLICYHOLDER CIRCULAR POLICYHOLDER CIRCULAR PROPOSED TRANSFER of the long-term insurance business of Protection Life Company Limited to Countrywide Assured plc 1 CONTENTS Part 1 Part 2 Part 3 Part 4 Part 5 Part 6 Part 7 Part

More information

Friends Life Limited

Friends Life Limited Annual PRA Insurance Returns for the year ended 31 December 2014 IPRU(INS) Appendices 9.1, 9.3, 9.4, 9.4A, 9.6 Balance Sheet and Profit and Loss Account Contents Form 2 Statement of solvency - long-term

More information

Abbey Life Assurance Company Limited Participating Business Fund

Abbey Life Assurance Company Limited Participating Business Fund Abbey Life Assurance Company Limited Participating Business Fund Principles and of Financial Management (PPFM) 1 General... 2 1.1 Introduction... 2 1.2 The With-Profits Policies... 2 2 Structure of these

More information

Report of the Independent Actuary. Halifax Insurance Ireland Limited and St Andrews Insurance plc

Report of the Independent Actuary. Halifax Insurance Ireland Limited and St Andrews Insurance plc Report of the Independent Actuary Halifax Insurance Ireland Limited and St Andrews Insurance plc 21 June 2012 Contents 1 Introduction 3 1.1 Background 3 1.2 Terms of Reference 3 1.3 Restrictions 4 1.4

More information

Milliman Client Report

Milliman Client Report Milliman Client Report Transfer of non-profit annuity business from The Equitable Life Assurance Society to Canada Life Limited. The report of the Independent Expert 7 October 2015 Prepared by: Nick Dumbreck,

More information

Hamilton Life Assurance Company Limited

Hamilton Life Assurance Company Limited Hamilton Life Assurance Company Limited Registered office: 2 Rougier Street, York, YO90 1UU Annual FSA Insurance 31st December Returns 2004 for the ended 31 December 2009 FN 02 001 Returns under the Accounts

More information

Standard Life Assurance Limited OCTOBER 2013. Principles and Practices of Financial Management for the UK Smoothed Managed With Profits Fund

Standard Life Assurance Limited OCTOBER 2013. Principles and Practices of Financial Management for the UK Smoothed Managed With Profits Fund Standard Life Assurance Limited OCTOBER 2013 Principles and Practices of Financial Management for the UK Smoothed Managed With Profits Fund Preface... 2 Background to the Principles and Practices of Financial

More information

Morgan Stanley 10th Annual European Financials Conference. Mark Wilson Chief Executive Officer. March 2014

Morgan Stanley 10th Annual European Financials Conference. Mark Wilson Chief Executive Officer. March 2014 Morgan Stanley 10th Annual European Financials Conference Mark Wilson Chief Executive Officer March 2014 1 Disclaimer Cautionary statements: This should be read in conjunction with the documents filed

More information

Milliman Client Report

Milliman Client Report Milliman Client Report The Part VII transfer of the long-term insurance business of Rothesay Assurance Limited to Rothesay Life Limited. The policyholders summary of the report of the Independent Expert

More information

THE INSURANCE BUSINESS (SOLVENCY) RULES 2015

THE INSURANCE BUSINESS (SOLVENCY) RULES 2015 THE INSURANCE BUSINESS (SOLVENCY) RULES 2015 Table of Contents Part 1 Introduction... 2 Part 2 Capital Adequacy... 4 Part 3 MCR... 7 Part 4 PCR... 10 Part 5 - Internal Model... 23 Part 6 Valuation... 34

More information

LONDON STOCK EXCHANGE HIGH GROWTH SEGMENT RULEBOOK 27 March 2013

LONDON STOCK EXCHANGE HIGH GROWTH SEGMENT RULEBOOK 27 March 2013 LONDON STOCK EXCHANGE HIGH GROWTH SEGMENT RULEBOOK 27 March 2013 Contents INTRODUCTION... 2 SECTION A ADMISSION... 3 A1: Eligibility for admission... 3 A2: Procedure for admission... 4 SECTION B CONTINUING

More information

NEDGROUP LIFE FINANCIAL MANAGEMENT PRINCIPLES AND PRACTICES OF ASSURANCE COMPANY LIMITED. A member of the Nedbank group

NEDGROUP LIFE FINANCIAL MANAGEMENT PRINCIPLES AND PRACTICES OF ASSURANCE COMPANY LIMITED. A member of the Nedbank group NEDGROUP LIFE ASSURANCE COMPANY LIMITED PRINCIPLES AND PRACTICES OF FINANCIAL MANAGEMENT A member of the Nedbank group We subscribe to the Code of Banking Practice of The Banking Association South Africa

More information

Solvency Standard for Captive Insurers Transacting Non-life Insurance Business

Solvency Standard for Captive Insurers Transacting Non-life Insurance Business Solvency Standard for Captive Insurers Transacting Non-life Insurance Business Insurance Policy Prudential Supervision Department October 2011(incorporating amendments to December 2014) 2 1. Introduction

More information

GLOSSARY. A contract that provides for periodic payments to an annuitant for a specified period of time, often until the annuitant s death.

GLOSSARY. A contract that provides for periodic payments to an annuitant for a specified period of time, often until the annuitant s death. The glossary contains explanations of certain terms and definitions used in this prospectus in connection with us and our business. The terms and their meanings may not correspond to standard industry

More information

2014 Head office: Ballam Road, Lytham St.Annes, FY8 4JZ Annual PRA Insurance Returns for the year ended 31 December 2014 IPRU(INS) Appendices 9.1, 9.2, 9.3, 9.4, 9.4A, 9.5, 9.6 Balance Sheet and Profit

More information

Partnership Life Assurance Company Limited

Partnership Life Assurance Company Limited Partnership Life Assurance Company Limited Annual PRA Insurance Returns for the year ended 31 December 2013 IPRU(INS) Appendices 9.1, 9.3, 9.4, 9.6 Contents Balance Sheet and Profit and Loss Account Form

More information

Commercial Union Life Assurance Company Limited

Commercial Union Life Assurance Company Limited Commercial Union Life Assurance Limited Registered office: St Helen s, 1 Undershaft, London, EC3P 3DQ Annual FSA Insurance Returns for the year ended 31st December 2002 Accounts and statements pursuant

More information

THE EQUITABLE LIFE ASSURANCE SOCIETY

THE EQUITABLE LIFE ASSURANCE SOCIETY Annual FSA Insurance Returns for the year ended 31 December 2004 Appendices 9.1, 9.3, 9.4 & 9.6 from the Interim Prudential Sourcebook for Insurers Registered Office 20-22 Bedford Row, London, WC1R 4JS

More information

APS L1: DUTIES AND RESPONSIBILITIES OF LIFE ASSURANCE ACTUARIES

APS L1: DUTIES AND RESPONSIBILITIES OF LIFE ASSURANCE ACTUARIES APS L1: DUTIES AND RESPONSIBILITIES OF LIFE ASSURANCE ACTUARIES Author: Life Board Status: Approved under the Standards Approval Process Version: 1.1, effective 1 April 2014 To be reviewed: No later than

More information

Legal & General Insurance Limited

Legal & General Insurance Limited Annual PRA Insurance Returns for the year ended 31 December 2013 IPRU(INS) Appendices 9.1, 9.2, 9.5, 9.6 Returns under the Accounts and Statements Rules Contents of the Return Financial period ended 31

More information

PRA RULEBOOK: SOLVENCY II FIRMS: SURPLUS FUNDS INSTRUMENT 2015

PRA RULEBOOK: SOLVENCY II FIRMS: SURPLUS FUNDS INSTRUMENT 2015 PRA RULEBOOK: SOLVENCY II FIRMS: SURPLUS FUNDS INSTRUMENT 2015 Powers exercised A. The Prudential Regulation Authority ( PRA ) makes this instrument in the exercise of the following powers and related

More information

Standard Life Assurance Limited

Standard Life Assurance Limited Standard Life Assurance Limited Annual PRA Insurance Returns for the financial year ended 31 December 2014 Prepared in accordance with the Accounts and Statements Rules (Appendices 9.1, 9.3, 9.4, 9.4A

More information

Marine and General Mutual Life Assurance Society

Marine and General Mutual Life Assurance Society Marine and General Mutual Life Assurance Society Policyholder Information Booklet Proposed transfer of the long-term insurance business of Marine and General Mutual Life Assurance Society to Scottish Friendly

More information

Autoridade Bancária e de Pagamentos de Timor-Leste Banking and Payments Authority of Timor-Leste

Autoridade Bancária e de Pagamentos de Timor-Leste Banking and Payments Authority of Timor-Leste Autoridade Bancária e de Pagamentos de Timor-Leste Banking and Payments Authority of Timor-Leste GOVERNING BOARD RESOLUTION. 06 /2007 Concerning the Approval of the Instruction. 01/2007 On the Licensing

More information

ST ANDREW'S LIFE ASSURANCE PLC

ST ANDREW'S LIFE ASSURANCE PLC Annual PRA Insurance Returns for the year ended 31 December 2013 IPRU(INS) Appendices 9.1, 9.3, 9.4, 9.6 Contents Balance Sheet and Profit and Loss Account Form 2 Statement of solvency - long-term insurance

More information

Regulated Mortgages. March 2012

Regulated Mortgages. March 2012 Regulated Mortgages March 2012 1 Introduction Since 31 October 2004, Regulated Mortgage Contracts have been subject to statutory control, supervised by the Financial Services Authority ("FSA"). Under Section

More information

SCOPE OF APPLICATION AND DEFINITIONS

SCOPE OF APPLICATION AND DEFINITIONS Unofficial translation No. 398/1995 Act on Foreign Insurance Companies Issued in Helsinki on 17 March 1995 PART I SCOPE OF APPLICATION AND DEFINITIONS Chapter 1. General Provisions Section 1. Scope of

More information

PROPERTY CASUALTY INSURANCE REGULATION IN THE UNITED KINGDOM. Richard Spiller, Esq. 011 44 171 556 4541. Introduction

PROPERTY CASUALTY INSURANCE REGULATION IN THE UNITED KINGDOM. Richard Spiller, Esq. 011 44 171 556 4541. Introduction PROPERTY CASUALTY INSURANCE REGULATION IN THE UNITED KINGDOM This article considers: Richard Spiller, Esq. 011 44 171 556 4541 Introduction 1. What activities by an overseas insurer amount to the carrying

More information

CANADA LIFE ASSURANCE (IRELAND) LIMITED IRISH LIFE ASSURANCE PLC COMMUNICATION ABOUT PROPOSED TRANSFER OF LIFE ASSURANCE BUSINESS

CANADA LIFE ASSURANCE (IRELAND) LIMITED IRISH LIFE ASSURANCE PLC COMMUNICATION ABOUT PROPOSED TRANSFER OF LIFE ASSURANCE BUSINESS This Document is important - please read it carefully. No action is required but if you have any doubt about the proposals you should consult your professional adviser CANADA LIFE ASSURANCE (IRELAND) LIMITED

More information

EarlyIncome Annuity Plan

EarlyIncome Annuity Plan EarlyIncome Annuity Plan HSBC Life (International) Limited HSBC Life (International) Limited ( the Company ) is incorporated in Bermuda with limited liability, and is one of the HSBC Group s insurance

More information

DRAFT May 2012. Objective and key requirements of this Prudential Standard

DRAFT May 2012. Objective and key requirements of this Prudential Standard Prudential Standard LPS 340 Valuation of Policy Liabilities Objective and key requirements of this Prudential Standard The ultimate responsibility for the value of a life company s policy liabilities rests

More information

Guaranteed Annuity. Policy Terms & Conditions

Guaranteed Annuity. Policy Terms & Conditions Guaranteed Annuity Policy Terms & Conditions Your Guaranteed Annuity Policy The Guaranteed Annuity is a contract of insurance between you and us formed by: your signed application this policy booklet,

More information

Basis of Preparation and Significant Accounting Policies (note 1)

Basis of Preparation and Significant Accounting Policies (note 1) Basis of Preparation and Significant Accounting Policies (note 1) Statutory basis (IFRS) results Section Basis of Preparation 1 Basis of presentation of results / supplemental earnings information 2 Policies

More information

GUIDANCE NOTES for Insurance Business

GUIDANCE NOTES for Insurance Business GUIDANCE NOTES for Insurance Business INTRODUCTION 1. The Isle of Man Government is fully committed to encouraging the development of insurance business carried on from within the Island provided it is

More information

A chapter on Valuation basis covering the following minimum criteria should also be displayed on the web-site of the Insurers.

A chapter on Valuation basis covering the following minimum criteria should also be displayed on the web-site of the Insurers. L-42 42- Valuation Basis (Life Insurance) A chapter on Valuation basis covering the following minimum criteria should also be displayed on the web-site of the Insurers. Data The company maintains the Policy

More information

Solvency Standard for Non-life Insurance Business

Solvency Standard for Non-life Insurance Business Solvency Standard for Non-life Insurance Business Insurance Policy Prudential Supervision Department October 2011 (incorporates amendments to May 2012) 2 1. Introduction 1.1. Authority 1. This solvency

More information

Friends Life Assurance Society Limited

Friends Life Assurance Society Limited Annual FSA Insurance Returns for the year ended 28th December 2012 (Appendices 9.1, 9.3, 9.6) Produced using BestESP Services - UK Year ended 28th December 2012 Contents Page Appendix 9.3 Form 40 Long-term

More information

METLIFE Group Life (INCLUDING FLEXIBLE BENEFITS) Technical Guide

METLIFE Group Life (INCLUDING FLEXIBLE BENEFITS) Technical Guide METLIFE Group Life (INCLUDING FLEXIBLE BENEFITS) Technical Guide 1 MetLife Group Life Policies Technical Guide MetLife has a range of policies aimed to meet your life cover needs in respect of your employees

More information

PRICING AND FINANCIAL PROJECTIONS FOR PRIVATE HEALTH INSURERS

PRICING AND FINANCIAL PROJECTIONS FOR PRIVATE HEALTH INSURERS PRACTICE GUIDELINE 699.01 PRICING AND FINANCIAL PROJECTIONS FOR PRIVATE HEALTH INSURERS September 2012 INDEX 1. INTRODUCTION 3 1.1 Application 3 1.2 Classification 3 1.3 Background 3 1.4 Purpose 3 1.5

More information

Solvency Standard for Captive Insurers Transacting Life Insurance Business

Solvency Standard for Captive Insurers Transacting Life Insurance Business Solvency Standard for Captive Insurers Transacting Life Insurance Business Financial Policy Prudential Supervision Department March 2013 Ref #5955527 v1.0 2 Introduction 1.1. Authority 1. This solvency

More information

Solvency Standard for Non-life Insurance Business in Run-off

Solvency Standard for Non-life Insurance Business in Run-off Solvency Standard for Non-life Insurance Business in Run-off Insurance Policy Prudential Supervision Department April 2012 (incorporates amendments to May 2012) 1. Introduction 1.1. Authority 1. This solvency

More information

ST ANDREW'S LIFE ASSURANCE PLC

ST ANDREW'S LIFE ASSURANCE PLC Annual PRA Insurance Returns for the year ended 31 December 2014 IPRU(INS) Appendices 9.1, 9.3, 9.4, 9.6 Balance Sheet and Profit and Loss Account Contents Form 2 Statement of solvency - long-term insurance

More information

POLICE MUTUAL ASSURANCE SOCIETY. Principles and Practices of Financial Management July 2015. PPFM v16.4

POLICE MUTUAL ASSURANCE SOCIETY. Principles and Practices of Financial Management July 2015. PPFM v16.4 PPFM v16.4 1. INTRODUCTION... 1 1.1. Purpose and History... 1 1.2. Fair and effective management... 2 1.2. Overview... 3 1.3. Principles of Financial Management... 4 1.4. Practices of Financial Management...

More information

Surveyors Professional Liability Insurance Summary

Surveyors Professional Liability Insurance Summary Surveyors Professional Liability Surveyors Professional Liability Underwritten by a member of the QBE Insurance Group (QBE) This insurance is an annual contract unless stated otherwise in the quotation

More information

ACCOUNTING FOR INSURANCE

ACCOUNTING FOR INSURANCE lt:\oslo\lifeos..doc 28.10.96 ACCOUNTING FOR INSURANCE Joanne Horton and Richard Macve University of Bristol and LSE OECD Seminar on Accounting Reform In the Baltic Rim Oslo, 13 th -15 th November 1996

More information

JUST RETIREMENT (HOLDINGS) LIMITED ( JUST RETIREMENT OR THE GROUP )

JUST RETIREMENT (HOLDINGS) LIMITED ( JUST RETIREMENT OR THE GROUP ) INTERIM RESULTS 9 April 2013 INTERIM RESULTS JUST RETIREMENT (HOLDINGS) LIMITED ( JUST RETIREMENT OR THE GROUP ) Just Retirement, the specialist UK life assurance group focusing on the provision of financial

More information

GE Financial Assurance Holdings, Inc. (Exact name of registrant as specified in its charter)

GE Financial Assurance Holdings, Inc. (Exact name of registrant as specified in its charter) UNITED STATES SECURITIES AND EXCHANGE COMMISSION WASHINGTON, D.C. 20549 FORM 10-Q QUARTERLY REPORT PURSUANT TO SECTION 13 OR 15(d) OF THE SECURITIES EXCHANGE ACT OF 1934 For the quarterly period ended

More information

Draft for consultation as part of CP18/16, available at: www.bankofengland.co.uk/pra/pages/publications/cp/2016/cp1816.aspx

Draft for consultation as part of CP18/16, available at: www.bankofengland.co.uk/pra/pages/publications/cp/2016/cp1816.aspx Draft for consultation as part of CP18/16, available at: www.bankofengland.co.uk/pra/pages/publications/cp/2016/cp1816.aspx Form 1 Statement of solvency general insurance business Global business/uk branch

More information

Australian Accounting Standards Board (AASB)

Australian Accounting Standards Board (AASB) Standards Board () FACT SHEET September 2011 1038 Life Insurance Contracts (This fact sheet is based on the standard as at 1 January 2011.) Important note: This standard is an Australian specific standard

More information

CONSULTATION PAPER. Insurance (Fees) Regulations 2013 Registered Schemes Administrators (Fees) Order 2013

CONSULTATION PAPER. Insurance (Fees) Regulations 2013 Registered Schemes Administrators (Fees) Order 2013 CONSULTATION PAPER Insurance (Fees) Regulations 2013 Registered Schemes Administrators (Fees) Order 2013 This document is relevant to all entities regulated by the Insurance and Pensions Authority under

More information

SUMMARY OF SCHEME AND INDEPENDENT EXPERT'S REPORT. Proposed transfer of the insurance business of Cardrow Insurance Limited to Tenecom Limited

SUMMARY OF SCHEME AND INDEPENDENT EXPERT'S REPORT. Proposed transfer of the insurance business of Cardrow Insurance Limited to Tenecom Limited SUMMARY OF SCHEME AND INDEPENDENT EXPERT'S REPORT Proposed transfer of the insurance business of Cardrow Insurance Limited to Tenecom Limited PART I: SUMMARY OF THE TERMS OF THE SCHEME 1. OVERVIEW 1.1.

More information

Zurich Stocks and Shares ISA. Terms and conditions

Zurich Stocks and Shares ISA. Terms and conditions Zurich Stocks and Shares ISA Terms and conditions Contents Introduction 3 The Terms and conditions 3 Roles and responsibilities 3 Risks 3 Terms and conditions 4 21) Your contract with us 4 22) Roles and

More information

GRF_115_1: Premiums Liabilities - Insurance Risk Charge

GRF_115_1: Premiums Liabilities - Insurance Risk Charge GRF_115_1: Premiums Liabilities - Insurance Risk Charge These instructions must be read in conjunction with the general instruction guide. Explanatory notes Direct business Sections 1A, 1B and 1C are to

More information

Registered office 6 Front Street, Hamilton HM11, Bermuda. Hong Kong SAR office 18 / F, Tower 1, HSBC Centre, 1 Sham Mong Road, Kowloon, Hong Kong

Registered office 6 Front Street, Hamilton HM11, Bermuda. Hong Kong SAR office 18 / F, Tower 1, HSBC Centre, 1 Sham Mong Road, Kowloon, Hong Kong HSBC Life (International) Limited HSBC Life (International) Limited ( the Company ) is incorporated in Bermuda with limited liability, and is one of the HSBC Group s insurance underwriting subsidiaries.

More information

Consultation Paper CP11/16 Underwriting standards for buy-tolet mortgage contracts

Consultation Paper CP11/16 Underwriting standards for buy-tolet mortgage contracts Consultation Paper CP11/16 Underwriting standards for buy-tolet mortgage contracts March 2016 Prudential Regulation Authority 20 Moorgate London EC2R 6DA Prudential Regulation Authority, registered office:

More information

PART H GUIDANCE ON COMPLETION OF THE BUSINESS OF INSURANCE STATEMENTS

PART H GUIDANCE ON COMPLETION OF THE BUSINESS OF INSURANCE STATEMENTS S C H E D U L E (Articles 4 to 6) PART H GUIDANCE ON COMPLETION OF THE BUSINESS OF INSURANCE STATEMENTS Introduction 1. Authorised companies should begin by compiling the worksheet named Cover Sheet, by

More information

Objectives and key requirements of this Prudential Standard

Objectives and key requirements of this Prudential Standard Prudential Standard LPS 001 Definitions Objectives and key requirements of this Prudential Standard This Prudential Standard defines key terms referred to in other Prudential Standards applicable to life

More information

Spouse s and Partner s Group Life Assurance

Spouse s and Partner s Group Life Assurance TECHNICAL GUIDE Spouse s and Partner s Group Life Assurance Because everyone needs a back-up plan unum.co.uk Technical Summary Technical Guide for Commercial customers and their advisers. This product

More information

THE INSTITUTE OF CHARTERED ACCOUNTANTS IN ENGLAND & WALES THE INSTITUTE OF CHARTERED ACCOUNTANTS OF SCOTLAND

THE INSTITUTE OF CHARTERED ACCOUNTANTS IN ENGLAND & WALES THE INSTITUTE OF CHARTERED ACCOUNTANTS OF SCOTLAND THE INSTITUTE OF CHARTERED ACCOUNTANTS IN ENGLAND & WALES THE INSTITUTE OF CHARTERED ACCOUNTANTS OF SCOTLAND THE INSTITUTE OF CHARTERED ACCOUNTANTS IN IRELAND Designated Professional Body Handbook 2004

More information

PRA RULEBOOK: GLOSSARY AND INSURANCE CONSEQUENTIALS INSTRUMENT 2015

PRA RULEBOOK: GLOSSARY AND INSURANCE CONSEQUENTIALS INSTRUMENT 2015 PRA RULEBOOK: GLOSSARY AND INSURANCE CONSEQUENTIALS INSTRUMENT 2015 Powers exercised A. The Prudential Regulation Authority ( PRA ) makes this instrument in the exercise of the following powers and related

More information

2 COMMENCEMENT DATE 5 3 DEFINITIONS 5 4 MATERIALITY 8. 5 DOCUMENTATION 9 5.1 Requirement for a Report 9 5.2 Content of a Report 9

2 COMMENCEMENT DATE 5 3 DEFINITIONS 5 4 MATERIALITY 8. 5 DOCUMENTATION 9 5.1 Requirement for a Report 9 5.2 Content of a Report 9 PROFESSIONAL STANDARD 300 VALUATIONS OF GENERAL INSURANCE CLAIMS INDEX 1 INTRODUCTION 3 1.1 Application 3 1.2 Classification 3 1.3 Background 3 1.4 Purpose 4 1.5 Previous versions 4 1.6 Legislation and

More information

Solvency Standard for Non-life Insurance Business 2014 (markup)

Solvency Standard for Non-life Insurance Business 2014 (markup) Solvency Standard for Non-life Insurance Business 2014 (markup) Prudential Supervision Department Issued: December 2014 Ref #5966703 v1.21.7 2 Table of Contents 1. INTRODUCTION... 4 1.1. Authority... 4

More information

Standard Life Assurance Limited

Standard Life Assurance Limited Standard Life Assurance Limited Annual PRA Insurance Returns for the financial year ended 31 December 2015 Prepared in accordance with the Accounts and Statements Rules (Appendices 9.1, 9.3, 9.4, 9.4A

More information

Employer commencement as a self-insurer

Employer commencement as a self-insurer External Guideline #21 Employer commencement as a self-insurer Version 4 1 April 2015 Contents 1 Overview... 4 2 Employer election... 4 3 Election to assume tail claims... 5 3.1 Transfer date... 5 3.2

More information

ST ANDREW'S LIFE ASSURANCE PLC

ST ANDREW'S LIFE ASSURANCE PLC Annual FSA Insurance Returns for the year ended 31 December 2008 Appendices 9.1, 9.3, 9.4, 9.6 Contents Appendix 9.1 Form 2 Statement of solvency - long-term insurance business 1 Form 3 Components of

More information

Windsor Life Assurance Company Limited. Windsor Life With-Profit Fund. Principles and Practices of Financial Management

Windsor Life Assurance Company Limited. Windsor Life With-Profit Fund. Principles and Practices of Financial Management Windsor Life Assurance Company Limited Windsor Life With-Profit Fund Principles and Practices of Financial Management July 2011 Registered in England No. 754167. Registered Office: Windsor House, Telford

More information

Italy. Italy General Insurance. International Comparison of Insurance Taxation* May 2009. *connectedthinking. Definition Accounting Taxation

Italy. Italy General Insurance. International Comparison of Insurance Taxation* May 2009. *connectedthinking. Definition Accounting Taxation Italy International Comparison of Insurance * May 2009 Italy General Insurance Definition Definition of property and casualty insurance company There is not a specific definition of property and casualty

More information

Insurance (Valuation of Long Term Liabilities) Regulations 2007 Consultative Document

Insurance (Valuation of Long Term Liabilities) Regulations 2007 Consultative Document Insurance (Valuation of Long Term Liabilities) Regulations 2007 Consultative Document 1. Introduction The Insurance and Pensions Authority has released a consultative draft of the Insurance (Valuation

More information

PRACTICE NOTE 22 THE AUDITORS CONSIDERATION OF FRS 17 RETIREMENT BENEFITS DEFINED BENEFIT SCHEMES

PRACTICE NOTE 22 THE AUDITORS CONSIDERATION OF FRS 17 RETIREMENT BENEFITS DEFINED BENEFIT SCHEMES PRACTICE NOTE 22 THE AUDITORS CONSIDERATION OF FRS 17 RETIREMENT BENEFITS DEFINED BENEFIT SCHEMES Contents Introduction Background The audit approach Ethical issues Planning considerations Communication

More information

Legal & General Insurance Limited

Legal & General Insurance Limited Annual PRA Insurance Returns for the ended 31 December 2014 IPRU(INS) Appendices 9.1, 9.2, 9.5, 9.6 Balance Sheet and Profit and Loss Account Contents Form 1 Statement of solvency - general insurance

More information

Understanding with profits. With Profits Pension Annuity

Understanding with profits. With Profits Pension Annuity Understanding with profits With Profits Pension Annuity This booklet tells you how we manage our With Profits Pension Annuity business only. There are separate Understanding With Profits booklets for other

More information

Policy Statement: Licensing Policy in respect of those activities that require a permit under the Insurance Business (Jersey) Law 1996

Policy Statement: Licensing Policy in respect of those activities that require a permit under the Insurance Business (Jersey) Law 1996 Policy Statement: Licensing Policy in respect of those activities that require a permit under the Insurance Business (Jersey) Law 1996 Issued: 11 February 2011 Glossary of terms: The following table provides

More information

Notes to the consolidated financial statements continued

Notes to the consolidated financial statements continued 195 plc 4 Segmental information The Group s results can be segmented, either by activity or by geography. Our primary reporting format is on regional reporting lines, with supplementary information given

More information

Pension Insurance Corporation plc Annual Report and Financial Statements 2014. Removing risk from pension funds

Pension Insurance Corporation plc Annual Report and Financial Statements 2014. Removing risk from pension funds Pension Insurance Corporation plc Annual Report and Financial Statements 2014 Removing risk from pension funds Annual Report and Financial Statements 2014 Securing pension benefits for the long term Pension

More information

11.4.2. Phoenix Life Limited. Principles and Practices of Financial Management

11.4.2. Phoenix Life Limited. Principles and Practices of Financial Management 11.4.2 Phoenix Life Limited Principles and Practices of Financial Management July 2015 Phoenix Life Limited Principles and Practices of Financial Management Introduction and Background Contents Page 1.

More information

Reproduced by Sabinet Online in terms of Government Printer s Copyright Authority No. 10505 dated 02 February 1998 BOARD NOTICES RAADSKENNISGEWINGS

Reproduced by Sabinet Online in terms of Government Printer s Copyright Authority No. 10505 dated 02 February 1998 BOARD NOTICES RAADSKENNISGEWINGS 152 NO.32916 GOVERNMENT GAZETTE, 5 FEBRUARY 2010 BOARD NOTICES RAADSKENNISGEWINGS BOARD NOTICE 14 OF 2010 FINANCIAL SERVICES BOARD REGISTRAR OF LONG TERM INSURANCE LONG TERM INSURANCE ACT, 1998 (ACT NO.

More information

Technical Guide GROUP INCOME PROTECTION TECHNICAL GUIDE. People you can trust- A company you can rely on

Technical Guide GROUP INCOME PROTECTION TECHNICAL GUIDE. People you can trust- A company you can rely on Technical Guide GROUP INCOME PROTECTION TECHNICAL GUIDE People you can trust- A company you can rely on Who are Omnilife? Omnilife is a specialist insurer providing Group Risk benefits for employers that

More information

Valuation Report on Prudential Annuities Limited as at 31 December 2003. The investigation relates to 31 December 2003.

Valuation Report on Prudential Annuities Limited as at 31 December 2003. The investigation relates to 31 December 2003. PRUDENTIAL ANNUITIES LIMITED Returns for the year ended 31 December 2003 SCHEDULE 4 Valuation Report on Prudential Annuities Limited as at 31 December 2003 1. Date of investigation The investigation relates

More information

FRS 103 Insurance Contracts

FRS 103 Insurance Contracts Standard Accounting and Reporting Financial Reporting Council March 2014 FRS 103 Insurance Contracts Consolidated accounting and reporting requirements for entities in the UK and Republic of Ireland issuing

More information

A Guide to Understanding Group Risk Insurance

A Guide to Understanding Group Risk Insurance A Guide to Understanding Group Risk Insurance This guide has been produced by Group Risk Development (GRiD) with the support of the Chartered Institute of Procurement and Supply (CIPS). CIPS members can

More information

SUPERVISION MANUAL (AMENDMENT NO 5) INSTRUMENT 2001

SUPERVISION MANUAL (AMENDMENT NO 5) INSTRUMENT 2001 FSA 2001/62 SUPERVISION MANUAL (AMENDMENT NO 5) INSTRUMENT 2001 Powers exercised A. The Financial Services Authority amends the Supervision manual in the exercise of the following powers and related provisions

More information