The EC’s proposals to implement a framework for recovery and resolution go beyond what is necessary given the extensive safeguards that are already in place to protect policyholders. In view of the specific characteristics of the insurance business and the existing instruments under Solvency II, there is no need for such an extensive IRRD.
Insurance Europe has published its response
to a Better Regulation consultation conducted by the European
Commission on its proposals for the establishment of an Insurance
Recovery and Resolution Directive (IRRD).
Furthermore, simply
applying a banking recovery and resolution style regime to the insurance
industry without considering insurance specifics is highly
inappropriate and would undermine the different resolution processes of a
failing insurer.
Instead, the EC should strive to achieve a
framework which is aligned with internationally agreed standards and
should take care not to overburden insurers with unnecessary and costly
requirements.
Insurance Europe has also identified the following key areas of concern:
- The
requirement for any (re)insurance undertaking to prepare pre-emptive
recovery plans or to be subject to resolution planning should be linked
to the resolution objectives, notably whether they are essential to the
continuity of critical functions and should be determined via a set of
risk-based criteria.
- The EC’s proposal to impose a minimum
national market coverage for recovery and resolution planning of 80% and
70% respectively is not related to the resolution objectives or the
provision of critical functions and is not supported by the industry.
- The
EC proposals foresee a large number of new powers for supervisory and
resolution authorities. While the industry recognises the need to create
sufficient powers for authorities to carry out their duties, many of
the proposals would give the European Insurance and Occupational
Pensions Authority (EIOPA) and the national supervisory authorities
(NSAs) very intrusive and arbitrary powers.
- The proposals would
also result in a significantly increased role for EIOPA in the
development and oversight of the recovery and resolution regime. The
increased role of EIOPA is likely to result in an unwelcome shift in the
balance of power between it and the NSAs/resolution authorities.
InsuranceEurope
© InsuranceEurope
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