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In its response to a European Insurance and Occupational Pensions Authority (EIOPA) consultation on the potential harmonisation of recovery and resolution frameworks for insurers, Insurance Europe said that Solvency II already allows early intervention through its structure based on two capital levels: the Minimum Capital Requirement (MCR) and the much higher target Solvency Capital Requirement (SCR).
Specifically, if an insurer’s capital drops below the SCR, supervisors can intervene and require the insurer to take increasingly drastic recovery measures through a ladder of intervention until capital levels reach the MCR. Then, if the MCR is breached, supervisors can take full control of the company while it still has a significant amount of capital and take the best actions to protect policyholders, including recovery or resolution measures, such as sale, portfolio transfer or winding-up.
Insurance Europe also pointed out that potential concerns about financial stability do not justify a new recovery and resolution framework. Traditional insurance business has proven extremely resilient to business cycle fluctuations in the past. Almost all insurers weathered the recent financial crisis well, and as EIOPA has noted in its consultation, very limited government support was necessary.
It is also important to note that insurance failures, as well as being rare, do not affect other insurers or the payments system. Should an insurer fail, there is no convincing evidence of a lack of substitutability of products that would justify the introduction of additional measures.
However, a certain degree of convergence of recovery and resolution practices could be beneficial, including: