Insurance Europe has responded to a consultation conducted by the European Data Protection Board (EDPB) on its draft guidelines on the calculation of administrative fines under the General Data Protection Regulation (GDPR).
The aim of
these guidelines is to create a harmonised basis from which the
calculation of administrative fines in individual cases can be made by
national supervisory authorities. While the draft guidelines provide
more detail on the factors taken into account for the calculation, they
do not make the level of fines more predictable.
Pursuant to
Article 83(1) of the GPDR, the turnover of the undertaking is one
relevant element to take into consideration when imposing an effective,
dissuasive and proportionate fine. According to the guidelines, however,
for the purposes of calculating the turnover of an insurance company,
the supervisory authority should also take into account insurance
premiums.
This is not in line with the most recent accounting
standards issued by the International Accounting Standards Board (IASB).
For example, International Financial Reporting Standard (IFRS) 17 —
Insurance Contracts, states that the information on insurance revenue
(first line of the profit and loss statement) must not include amounts
the insurer is obligated to pay the policyholder regardless of whether
the insured event occurs (eg the so-called investment component). These
amounts that represent the investment of the policyholder (eg the
savings component of an endowment life insurance) must be excluded from
the revenues in the profit and loss account.
Through this explicit
requirement, the IASB, in its role as a global standard setter in the
field of international accounting, has ensured the comparability of
financial reporting by insurers and companies from other sectors.
Insurance Europe, therefore, encourages the EDPB to update its
guidelines to take into account the international standards set out by
the IASB.
Full response
InsuranceEurope
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