Insurance Europe has published its response
to a consultation by the European Commission on its Retail Investment
Strategy (RIS). Insurers offer a wide range of investment products to
address different consumer needs and are also major providers of a wide
variety of occupational and personal pensions.
Insurance
products are unique due to their long-term nature and the fact that they
can combine investments with insurance cover. These characteristics are
key to consumers’ protection and purchasing decisions and should,
therefore, be recognised by EU rules and properly represented in the
disclosures made to consumers. However, this is currently not the case.
The
consultation on the RIS therefore provides an excellent opportunity to
learn lessons from the successes and failures of previous EU legislative
initiatives. This would enable retail investors to take full advantage
of capital markets, which in turn can help to underpin Europe’s economic
recovery from COVID-19 and the transition to a sustainable economy.
Insurance Europe’s key messages on the RIS are:
- The
current regulatory and supervisory framework on insurance distribution
is robust and provides a very high level of consumer protection —
The framework includes new strong rules in the form of the Insurance
Distribution Directive (IDD) that are complemented at both EU and
national level by easy access to redress, transparency and conflicts of
interest rules and appropriate intervention powers. The IDD also
contains rules on commissions that are appropriate for the insurance
sector.
- The EC must act to reduce information overload and to adapt the framework to modern consumer habits and expectations
— A full assessment is therefore needed to simplify information
requirements and to reduce the overall volume of disclosures. Any reform
must, however, be subject to extensive consumer testing to ensure that
disclosures are meaningful, workable and improve consumer understanding.
Legislators must also assess rules’ cumulative impact and remove
inconsistencies and duplication.
- Disclosures must properly represent the benefits of insurance products
— Disclosures must help consumers to better understand an investment
product’s features and therefore should specifically highlight whether
or not insurance cover is included. Current rules mean that, if no cover
is included, it is simply omitted from the disclosures.
- The regulatory framework must be digital friendly
— The IDD and the Packaged Retail and Insurance-based Investment
Products (PRIIPs) Regulation should be amended to be digital by default,
with information provided on paper when requested by the consumer. It
is also important to ensure that new entrants to the market, such as
BigTech, are subject to the same regulatory and supervisory framework
(ie “same activities, same risks, same rules”) to ensure a level playing
field and to maintain a consistently high level of consumer protection.
- Action is needed to increase financial literacy across Europe
— Financial literacy is an essential skill that enables citizens to
take charge of their personal finances and here the Commission should
play a greater role: for example, by supporting the development and
implementation of national strategies for financial literacy and
education, including insurance education.
Moreover, it should be noted that there are several inaccuracies in the Commission’s questionnaire
regarding the insurance market. These include questions on Insurance
Product Information Documents (IPIDs) and the pan-European Personal
Pension Product (PEPP) that are simply not applicable to the current
retail investment market. Insurance Europe therefore urges the
Commission not to draw any conclusions from these questions.