“The CMU offers a significant opportunity for Europe’s insurers to play an even bigger role in providing much needed long-term investment to underpin recovery and growth in Europe, if problems with our regulatory framework, Solvency II, are fixed...."
Following today’s publication of the European Commission’s action
plan for the Capital Markets Union (CMU), Insurance Europe’s director
general, Michaela Koller, said:
“The CMU offers a significant opportunity for Europe’s insurers to
play an even bigger role in providing much needed long-term investment
to underpin recovery and growth in Europe, if problems with our
regulatory framework, Solvency II, are fixed. We are keen to contribute
further and therefore very much welcome the Commission’s plan to assess,
as part of the Solvency II review, how the framework could be amended
to further enable long-term investment by insurance companies.
“The review of Solvency II must include targeted but ambitious
improvements in how it treats insurers’ long-term business that in turn
generates long-term investments. Improvements are required to address
measurement flaws on liabilities and capital charges for assets, as both
determine insurers’ investment capacity and behaviour.
“On the liabilities side, the Risk Margin and the Volatility
Adjustment must be fixed to avoid exaggerating the valuation of
long-term liabilities and artificial volatility in solvency ratios. On
the assets side, improvements are required to the risk-based capital
treatment of both equity and debt assets to correctly recognise the real
risks faced by insurers: ie long-term under-performance rather than
short-term market movements. The right improvements will enable insurers
to not only maintain, but significantly enhance their role as Europe’s
largest institutional long-term investors, and to play a central role in
delivering of the benefits of the CMU.
“Our industry also welcomes the Commission’s recognition of the role
that supplementary private pensions can play in meeting the challenges
posed by ageing populations. Similarly, the industry welcomes the
recognition of the importance of financial literacy and skills, and the
proposed measures to further encourage member states to support
financial education.
“With respect to disclosures, the industry welcomes the Commission’s
intention to examine ways to improve consumer engagement, digital
delivery and interaction. It is, however, vital that the Commission
takes a holistic approach to reviewing existing disclosure requirements
to address the current overloading of consumers.
“At the same time, with respect to distribution, the insurance
industry reiterates the need to recognise the benefits of tailored
conduct of business rules. Consumer participation in the CMU will only
be enhanced through regulation that accommodates the specific features
of insurance products and existing insurance distribution systems. For
example, rules on advice and commissions must be workable for smaller,
local distributors who provide access to the CMU to retail customers who
may otherwise be excluded.
“Finally, regarding supervision, the European Insurance and
Occupational Pensions Authority (EIOPA) does not need any further
significant changes to its powers to fulfil its mandate. The Board of
Supervisors (BoS) should remain the main decision-making body, so that
the ultimate responsibility for supervision remains with NCAs and the
principles of subsidiarity and proportionality are not undermined.
“NCAs are vital elements of the supervisory system given their local
expertise, direct contact with entities and, crucially, local
accountability. Therefore, the current separation between indirect
supervision by EIOPA and direct supervision by national authorities is a
cornerstone of the European supervisory system. Moreover, Solvency II
is already a common rulebook at European level and EIOPA has enough
powers to achieve supervisory convergence.”
Insurance Europe
© InsuranceEurope
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