Insurance Europe has published its response to a consultation by the European Insurance and Occupational Pensions Authority (EIOPA) on blockchain and smart contracts.  
Insurers
 across the EU and beyond are currently developing blockchain 
initiatives to explore its potential to streamline business operations 
and to better serve their customers. 
Experiences so far have 
demonstrated the potential that blockchain technologies and smart 
contracts can offer both consumers and the industry in the future. This 
includes advantages in terms of more secure and faster transactions, 
fraud detection, low operational costs, greater transparency and 
reliability of data, and improved traceability.
Blockchain and 
smart contract deployment are, however, still very much in the early 
stages of maturity. Insurers must therefore be able to continue 
developing initiatives and the industry should be given time to explore 
the viability of the technology and its potential applications before 
any further steps are considered by regulators or policymakers. 
Moreover, the aim should be to ensure an innovation-friendly regulatory 
framework and to remove unnecessary obstacles to the deployment of 
blockchain technology solutions in the financial sector.
Furthermore,
 the underlying principles of blockchain technology already raise 
certain questions with regard to compatibility with existing 
legislation, particularly concerning the use of personal data. Certain 
requirements of the General Data Protection Regulation (GDPR), for 
example, such as the right to be forgotten, create legal uncertainty and
 limit the potential use of blockchain technologies that are designed to
 be an immutable and permanent record of all transactions. A lack of 
legal certainty is therefore likely to result in companies being 
reluctant to adopt blockchain technologies due to concerns around 
breaching GDPR provisions.
This creates a need for a coherent 
European approach to blockchain and a common understanding of how 
existing rules should be applied. It is therefore worth considering the 
recommendations of the European Commission Expert Group on Regulatory 
Obstacles to Financial Innovation, which proposes issuing guidance on 
the application of the GDPR in relation to the use of new technologies 
in financial services. 
Moreover, ensuring the successful 
deployment of blockchain solutions in the future will require continued 
cooperation between all stakeholders to foster legal certainty and avoid
 any further obstacles arising as a result of standardisation or 
interoperability issues.