Insurance Europe has today published a position paper outlining its views on the advice provided by the European Insurance and Occupational Pensions Authority (EIOPA) to the European Commission on the review of the Solvency II regulatory framework.
EIOPA’s advice to the Commission represents a missed opportunity to
appropriately address the existing flaws in the framework in a way that
also supports the EU’s overarching objectives set out in the Green Deal
and the Capital Markets Union.
The shape the review takes will be decided upon by the three EU
co-legislators – the Commission, the Council of the EU and the European
Parliament. If they decide to implement EIOPA’s proposals, it could
decrease the risk-taking capacity of EU insurers by around €60bn and
would significantly reduce insurers’ ability to invest in the real
economy. A €60bn capital impact would, for example, reduce the
investment capacity of insurers by the equivalent of around €170bn in
equity investments, or around €680bn of corporate bond investments.
If implemented, EIOPA’s advice would further amplify Solvency II’s
conservativeness and measurement flaws, preventing the insurance
industry from fully supporting the EU’s ambitious recovery, investment
and sustainability goals.
None of these consequences are justified, as there is no evidence
that the industry needs more capital, nor that the framework needs more
layers of prudency, on top of the long list of those that already exist.
Instead, the EU insurance industry is calling for the review of Solvency II to:
- Address flaws for long-term business –
Insurers’ capacity to invest over the long-term is based on their
business model, including their ability to offer long-term products.
Addressing related flaws would allow insurers to continue offering
long-term savings and guarantee products that consumers value and need.
It would also enable insurers to enhance their investments in the real
economy, including those in equities and assets that support the
sustainable transition. Overall, the impact of all the changes should
lead to a justified and needed reduction in capital requirements and
volatility.
- Address operational complexity and burden – This
can be achieved by making sure proportionality works in practice and by
simplifying and streamlining reporting requirements. This would lead to a
more diversified and efficient insurance market, which is directly
beneficial for European consumers.
- Avoid gold-plating international agreements on systemic risk measures
– The implementation of the International Association of Insurance
Supervisors’ holistic framework for addressing systemic risk should be
done with proportionality in mind and should not be gold-plated, to
avoid harming the global competitiveness of EU insurers operating in
foreign markets.
- Focus on areas of proven need and avoid changing what works
– The Solvency II review should focus any changes in areas where there
is a proven issue and should avoid changes where there is no real need,
and especially avoid changes to areas that have proven their value.
position paper
Insurance Europe
© InsuranceEurope
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