Sustainability is a key element of the Solvency II review and insurers are supportive of the changes that can help clarify how sustainability risks, including climate-change risks, are appropriately integrated into the Solvency II framework...
Insurance Europe has published its views on the integration of sustainability risks in Solvency II.
Europe's
insurers support the EU’s ambitious sustainability agenda and are
committed to continue to contribute — and to build upon their current
actions — towards the transition to a more sustainable society and to
play their role in achieving the targets of the EU Green Deal.
Sustainability
is a key element of the Solvency II review and insurers are supportive
of the changes that can help clarify how sustainability risks, including
climate-change risks, are appropriately integrated into the Solvency II
framework, insofar as this is not already the case.
Although
requirements for insurers to integrate sustainability risks into their
investment, underwriting and reserving are already a part of Solvency
II, the industry acknowledges the benefit of adding some further
clarifications.
The industry, therefore, supports the Commission’s sustainability related proposals that are risk-based, such as:
- Regular
reviews, and updates where necessary, of the scope and calibration of
standard formula parameters pertaining to climate-related natural
catastrophe risk.
- The inclusion of climate change scenario analysis in the ORSA.
- EIOPA’s
mandate to investigate whether a differential prudential treatment for
green/brown assets, as well as assets with a social objective, is
justified based on evidence of risk differentials.
In
addition, the industry supports transition plans, which a very wide
range of companies, including insurers, will need to set up and
disclose, as currently being foreseen in the cross-sectoral directives
of the Directive on Corporate Sustainability Due Diligence and the
Corporate Sustainability Reporting Directive. Therefore, to avoid
unnecessary duplication and inconsistencies, there is no need to include
transition plans in sector specific legislation, such as Solvency II.
InsuranceEurope
© InsuranceEurope
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